INTM164210 - UK residents with foreign income or gains: dividends
Dividends received by UK companies on or after 31 March 2001 - background and overview
A company that receives a dividend from an overseas company in
which it owns more than 10% of the voting rights may claim a credit
for tax paid on the profits of the overseas company and its
subsidiaries: 'underlying tax'. Before FA2000, if the tax exceeded
the United Kingdom tax payable on the dividend, the UK recipient
could not get relief for all the foreign tax. Off- shore mixing
companies were therefore set up to mix dividends with high tax and
dividends with low tax so that they came into the UK at an averaged
rate. We could only look at the combined source and combined tax
paid when limiting relief for foreign tax under ICTA88/S797.
As part of a very wide overhaul of the double taxation
regime, FA2000 and FA2001 introduced provisions to nullify the
effects of offshore mixing for UK tax purposes. It also introduced
a regime of on-shore pooling and of allowing some relief for excess
tax against other foreign dividends received by the company or
elsewhere in the group. Some refinements to the legislation were
made in FA2001.
The provisions are extensive and guidance on the various
aspects can be found as follows:
The Mixer Cap (
INTM164220): credit for tax paid on
each component dividend making up a mixed dividend is limited to
the amount that would have been allowable if that component
dividend had been paid direct into the UK;
Eligible Unrelieved Foreign Tax (
INTM164240 et seq.): some foreign tax
that cannot be relieved against the dividend on which it arises may
be eligible for relief against other foreign dividends;
On-shore pooling (
INTM164270): certain dividends that
have a low rate of tax can be pooled and absorb unrelieved foreign
tax arising elsewhere;
Using EUFT and Group Surrender (
INTM164310 and
INTM164330): excess unrelieved tax may
be used in other periods or surrendered within a group;
ADP dividends (
INTM164280 and
INTM164290) dividends paid by a
Controlled Foreign Company to satisfy an Acceptable Distribution
Policy are completely ringfenced;
Partial Claims: (
INTM164300) credit for foreign tax
need not be claimed in full;
(This text has been withheld because of exemptions in the
Freedom of Information Act 2000)
