Chwilio Deddfwriaeth

Income and Corporation Taxes Act 1988

Changes over time for: Section 737

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737 Manufactured dividends: treatment of tax deducted.U.K.

[F1(1)Subject to the provisions of this section and of Schedule 23A, where, under a contract or other arrangements for the transfer of securities, one of the parties (the “dividend manufacturer”) is required to pay to the other an amount representative of a periodical payment of interest on the securities, section 350(1) and Schedule 16 shall apply [F2(subject to subsection (1A) below)] as if the payment by the dividend manufacturer (the “manufactured dividend”) were an annual payment made, after due deduction of tax, wholly out of a source other than profits or gains brought into charge to income tax.]

[F3[F4(1A)The deduction of tax which is deemed to have been made under subsection (1) above shall be taken to have been made at the lower rate as if the deemed annual payment were income to which section 1A applied; and—

(a)the reference to the applicable rate in subsection (1) of section 350, so far as it has effect by virtue of subsection (1) above, and

(b)Schedule 16, so far as it so has effect,

shall be construed accordingly.]]

[F5(1B)Subject to subsection (5AA) below, subsection (1) above shall not apply where the interest in question is interest on gilt-edged securities.]

(2)[F6Subject to subsection (5AA) below,] subsection (1) of this section shall not apply where F7 . . . the interest in question is payable without deduction of tax or where, under the rules of the stock exchange governing the transaction, the payment required to be made in respect of the interest is of the amount of the interest before deduction of tax.

[F8(3)Subsection (1) above shall not apply in any case where—

(a)the dividend manufacturer is a company resident in the United Kingdom; or

(b)the manufactured dividend is a manufactured overseas dividend, within the meaning of Schedule 23A; [F9or

(c)the manufactured dividend is representative of a foreign income dividend.]]

F10(4). . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .

[F11(5)[F6Subject to subsection (5AA) below,] where the dividend manufacturer in relation to the contract or other arrangements mentioned in subsection (1) above is not resident in the United Kingdom and the manufactured dividend is paid by him otherwise than in the course of a trade which he carries on through a branch or agency in the United Kingdom, that subsection shall not apply; but if the manufactured dividend is received by [F12a United Kingdom recipient, that recipient shall] be assessable and chargeable with an amount of income tax in respect of the manufactured dividend equal to that which the dividend manufacturer would have been required to account for and pay had he been resident in the United Kingdom.]

[F13(5AAA)For the purposes of subsection (5) above a person who receives a manufactured dividend is a United Kingdom recipient if—

(a)he is resident in the United Kingdom; or

(b)he is not so resident but receives that dividend for the purposes of a trade carried on through a branch or agency in the United Kingdom.]

[F14(5AA)Regulations made by the Treasury may make provision in relation to any such case where the securities in question are gilt-edged securities as may be specified in the regulations—

(a)for subsections (1B), (2) and (5) above to be disregarded in determining whether the case is one where subsection (1) above applies; or

(b)for this section to have effect as if subsections (1B) and (2) above were omitted F15. . . .]

[F16(5A)Where this section applies in relation to a manufactured dividend [F17that is not manufactured interest to which section 97 of the Finance Act 1996 applies], relief shall not be given to any person under any provision of the Tax Acts in respect of any amount which he is required to deduct from the manufactured dividend on account of income tax; and in this subsection “relief” means relief by way of—

(a)deduction in computing profits or gains; or

(b)deduction or set off against income or total profits.]

(6)In this section—

  • [F18F19dividend manufacturing regulations” means regulations made by the Treasury under Schedule 23A;

  • [F18foreign income dividend” shall be construed in accordance with Chapter VA of Part VI;]

  • [F20gilt-edged securities” has the same meaning as in section 51A;]

  • prescribed” means prescribed in dividend manufacturing regulations;

  • recognised investment exchange” means a recognised investment exchange within the meaning of the Financial Services Act 1986;]

  • securities” includes shares and stock;

  • [F21transfer” includes any sale or other disposal;]

and references to a periodical payment of interest include references to a qualifying distribution and any dividend which is not a qualifying distribution.

(7)In the application of this section in a case where the references in subsection (1) above to a periodical payment of interest are construed as references to a qualifying distribution, subsection (2) above shall be omitted.

[F22(7A)Where the dividend manufacturer—

(a)is not resident in the United Kingdom but carries on a trade through a branch or agency in the United Kingdom, or

(b)is a member, of a prescribed class or description, of a prescribed recognised investment exchange,

dividend manufacturing regulations may make provision for this section and such other provisions of the Tax Acts as may be prescribed to apply with prescribed modifications in connection with the manufactured dividend or any tax required to be deducted or accounted for in respect of it.

(7B)Without prejudice to the generality of subsection (7A) above, dividend manufacturing regulations made by virtue of that subsection may, in particular, include provision—

(a)entitling the dividend manufacturer to any prescribed relief to which he would not otherwise be entitled;

(b)denying the dividend manufacturer any prescribed relief to which he would otherwise be entitled;

(c)prescribing the manner in which amounts required to be deducted or accounted for on account of tax are to be accounted for and paid;

and, without prejudice to the generality of paragraph (c) above, any regulations made for the purpose specified in that paragraph may include provision, in a case falling within subsection (7A)(a) above, for the manufactured dividend to be a relevant payment for the purposes of Schedule 16 and for that Schedule to apply in relation to it with such modifications as may be prescribed.]

(8)Where it appears to the Board that by reason of any transaction or transactions a person may by virtue of this section have incurred any liability to tax, the Board may by notice served on him require him, within such time not less than 28 days as may be specified in the notice, to furnish information in his possession with respect to the transaction or any of the transactions, being information as to matters, specified in the notice, which are relevant to the question whether he has incurred any such liability.

Textual Amendments

F1S. 737(1) substituted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(2) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c),4

F2Words in s. 737(1) inserted (with effect in accordance with Sch. 6 para. 18(2) of the amending Act) by Finance Act 1996 (c. 8), Sch. 6 para. 18(1)

F3S. 737(1A) inserted (27.7.1993 with effect in relation to any payment of a manufactured dividend made on or after 6.4.1993) by 1993 c. 34, s. 79, Sch. 6 paras.14, 25(4)

F4S. 737(1A) substituted (with effect in accordance with Sch. 6 para. 18(2) of the amending Act) by Finance Act 1996 (c. 8), Sch. 6 para. 18(1)

F5S. 737(1B) inserted (with effect in accordance with s. 82(4) of the amending Act) by Finance Act 1995 (c. 4), s. 82(1)(a); S.I. 1995/2933, art. 2

F6Words in s. 737(2)(5) inserted (with effect in accordance with s. 82(4) of the amending Act) by Finance Act 1995 (c. 4), s. 82(1)(b); S.I. 1995/2933, art. 2

F7Words in s. 737(2) repealed (for the year 1991-92 and the subsequent years of assessment) by Finance Act 1991 (c. 31, SIF 63:1), s. 123, Sch. 19 Pt. V, Note 6

F8S. 737(3) substituted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(3) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F9S. 737(3)(c) and preceding word inserted (3.5.1994) by Finance Act 1994 (c. 9), Sch. 16 para. 18(2)

F10S. 737(4) repealed by Finance Act 1991 (c. 31, SIF 63:1), ss. 58(2), 123, Sch. 13 para. 3(4), Sch. 19 Pt. V, Note 9 (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F11S. 737(5) substituted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(4) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F12Words in s. 737(5) substituted (with effect in accordance with s. 159(9) of the amending Act) by Finance Act 1996 (c. 8), s. 159(2)(a); S.I. 1996/2646, art. 2

F13S. 737(5AAA) inserted (with effect in accordance with s. 159(9) of the amending Act) by Finance Act 1996 (c. 8), s. 159(2)(b); S.I. 1996/2646, art. 2

F14S. 737(5AA) inserted (with effect in accordance with s. 82(4) of the amending Act) by Finance Act 1995 (c. 4), s. 82(1)(c); S.I. 1995/2933, art. 2

F15Words in s. 737(5AA)(b) repealed (with effect in accordance with s. 159(1) of the repealing Act) by Finance Act 1996 (c. 8), Sch. 41 Pt. 5(21); S.I. 1996/2646, art. 2

F16S. 737(5A) inserted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(5) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F17Words in s. 737(5A) inserted (with effect in accordance with s. 105(1) of the amending Act) by Finance Act 1996 (c. 8), Sch. 14 para. 38 (with Sch. 15)

F18S. 737(6): definition of "foreign income dividend" inserted (3.5.1994) by Finance Act 1994 (c. 9), Sch. 16 para. 18(3)

F19Definitions in s. 737(6) substituted for definitions of "broker" and "market maker" by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(6)(a) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F20S. 737(6): definition of "gilt-edged securities" inserted (with effect in accordance with s. 82(4) of the amending Act) by Finance Act 1995 (c. 4), s. 82(1)(d); S.I. 1995/2933, art. 2

F21Definition in s. 737(6) inserted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(6)(b) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

F22S. 737(7A)(7B) inserted by Finance Act 1991 (c. 31, SIF 63:1), s. 58(2), Sch. 13 para. 3(7) (with effect as mentioned in s. 58(3) in relation to payments made on or after such day as may be specified: 26.2.1992 specified for certain purposes by S.I. 1992/173, reg. 2(b); 30.6.1992 specified for certain purposes by S.I. 1992/1346, regs. 2, 3, 4; 21.4.1993 specified for certain purposes by S.I. 1993/933, regs. 2, 3(c), 4(1))

Modifications etc. (not altering text)

C1S. 737 applied (with modifications) (24.9.1992) by S.I. 1992/2074, reg. 14(1)

C2S. 737(1) modified (22.3.1992) by S.I. 1992/569, reg. 13(2)

C4S. 737(5A) modified (22.3.1992) by S.I. 1992/569, reg. 14(1)(2)

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