TTM12000 - Tonnage Tax Groups

Introduction

This section details the treatment of tonnage tax groups. It explains what is meant by a tonnage tax group and how the group’s tonnage tax profits are calculated. It also covers the merger provisions between tonnage tax companies and non tonnage tax companies.

Top of page

Table of contents

Outline

TTM12001

Outline on tonnage tax group

Control

TTM12010

Meaning of ‘group’

TTM12020

Control by an individual

TTM12030

Meaning of ‘associate’

TTM12040

Meaning of ‘relative’

TTM12050

Meaning of ‘child’

TTM12060

Meaning of ‘settlement’ and ‘settlor’

TTM12070

Meaning of ‘control’

TTM12080

Attribution of powers to achieve control

TTM12090

Exclusion from control

TTM12100

Company not to be a member of more than one group

Group arrangements with Revenue

TTM12200

Notification of group changes

TTM12210

Group arrangements

TTM12220

Matters covered by group arrangement

TTM12230

Details in notification of group arrangement

TTM12240

Inspector’s agreement to group arrangement

TTM12250

Changes to membership of group

TTM12260

Changes to details covered by group arrangement

Merger

TTM12300

Merger: Meaning

TTM12310

Merger between TT groups/companies

TTM12320

Merger between TT and qualifying non-TT groups/companies

TTM12330

Merger between TT and non-qualifying groups/companies

TTM12340

Merger between non-qualifying and qualifying non-TT groups/companies

TTM12350

Meaning of ‘dominant party’

TTM12360

Meaning of ‘relevant activities’

Demerger

TTM12400

Definition of ‘demerger’

TTM12410

Effect of demerger