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Part 11U.K.Manufactured payments and repos

Chapter 2U.K.Manufactured payments

Manufactured dividends on UK sharesU.K.

573Manufactured dividends on UK sharesU.K.

(1)This section applies if a person—

(a)pays another person an amount (a “manufactured dividend”) which is representative of a dividend on UK shares, and

(b)does so under a requirement of an arrangement between them for the transfer of the shares.

(2)The Income Tax Acts apply in relation to the recipient, and persons claiming title through or under the recipient, as if the manufactured dividend were a dividend on the shares.

(3)If the payer is a UK resident company, the Income Tax Acts apply in relation to the payer as if the manufactured dividend were a dividend of the company.

(4)If the payer is UK resident and is not a company, the Income Tax Acts apply in relation to the payer subject to [F1section 574] (allowable deductions).

(5)This section is subject to—

(a)section 576 (manufactured dividends on UK shares: Real Estate Investment Trusts),

(b)section 583 (manufactured payments exceeding underlying payments), and

(c)section 585 (power to deal with other special cases).

Textual Amendments

F1Words in s. 573(4) substituted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) by Finance Act 2008 (c. 9), Sch. 23 para. 3

574Allowable deductionsF2...U.K.

(1)This section applies if a person who pays a manufactured dividend as mentioned in section 573(1) is UK resident and is not a company.

(2)An amount equal to the lesser of—

(a)the amount of the manufactured dividend, and

(b)the amount of the dividend of which the manufactured dividend is representative,

is allowable [F3for income tax purposes as a deduction in calculating the net income of the payer (see Step 2 of the calculation in section 23). This is subject to subsection (3).]

[F4(3)It is—

(a)deductible by virtue of subsection (2) only so far as it is not otherwise deductible and so far as section 263D of TCGA 1992 does not apply, and

(b)not deductible (whether by virtue of subsection (2) or otherwise) if it (or any part of it) is made directly or indirectly in consequence of, or otherwise in connection with, avoidance arrangements.]

(10)For the purposes of subsection (3)(a) an amount is [F5otherwise deductible if, apart from this section,] it is—

(a)deductible in calculating any of the payer's profits or gains for income tax purposes, or

(b)deductible for those purposes in calculating the net income of the payer.

Textual Amendments

F2Word in s. 574 heading omitted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) by virtue of Finance Act 2008 (c. 9), Sch. 23 para. 4(5)

F3Words in s. 574(2) substituted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) by Finance Act 2008 (c. 9), Sch. 23 para. 4(2)

F4S. 574(3) substituted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) for s. 574(3)-(9) by Finance Act 2008 (c. 9), Sch. 23 para. 4(3)

F5Words in s. 574(10) substituted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) by Finance Act 2008 (c. 9), Sch. 23 para. 4(4)

F6575Allowable deductions: restriction on double-countingU.K.

. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .

Textual Amendments

F6S. 575 omitted (21.7.2008 with effect in accordance with s. 63(2) of the amending Act) by virtue of Finance Act 2008 (c. 9), Sch. 23 para. 5

576Manufactured dividends on UK shares: Real Estate Investment TrustsU.K.

(1)This section applies (instead of section 573(2) and (3)) if—

(a)a person pays a manufactured dividend as mentioned in section 573(1), and

(b)the manufactured dividend is representative of a dividend which is—

(i)paid by a company to which Part 4 of FA 2006 applies (Real Estate Investment Trusts) in respect of profits of C (tax-exempt), or

(ii)paid by the principal company of a group to which that Part applies in respect of profits of G (property rental business).

(2)This section applies only so far as the manufactured dividend is representative of such a dividend.

(3)The Income Tax Acts apply in relation to the recipient, and persons claiming title through or under the recipient, as if the manufactured dividend were a dividend to which section 121 of FA 2006 applied (distributions treated as UK property business profits).

(4)This section is subject to—

(a)section 583 (manufactured payments exceeding underlying payments), and

(b)section 585 (power to deal with other special cases).

577Statements about manufactured dividendsU.K.

(1)Subsections (3) to (7) apply to a person who—

(a)pays a manufactured dividend as mentioned in section 573(1), and

(b)is not within the charge to corporation tax.

(2)But those subsections do not apply so far as the manufactured dividend is representative of a dividend which is—

(a)paid by a company to which Part 4 of FA 2006 applies (Real Estate Investment Trusts) in respect of profits of C (tax-exempt), or

(b)paid by the principal company of a group to which that Part applies in respect of profits of G (property rental business).

(3)The person must, at the same time as paying the manufactured dividend, give the recipient a statement.

(4)The statement must set out—

(a)the amount of the manufactured dividend,

(b)the date of its payment, and

(c)the amount of associated tax credit.

(5)The statement must be in writing.

(6)The amount of associated tax credit is the amount of tax credit to which the recipient, or a person claiming title through or under the recipient—

(a)is entitled in respect of the manufactured dividend as a result of section 573(2) of this Act or paragraph 2(3)(b) of Schedule 23A to ICTA (manufactured dividend treated as dividend), or

(b)would be so entitled if all the conditions for a tax credit had been met in the case of the deemed dividend and the recipient or that person.

(7)The duty under subsection (3) to give a statement is enforceable by the recipient.

(8)For provisions corresponding to subsections (3) to (7) which apply if the payer of a manufactured dividend is within the charge to corporation tax see—

(a)section 234A of ICTA (by virtue of paragraph 2(2)(b) of Schedule 23A to ICTA), if the payer is a UK resident company, and

(b)paragraph 2(6) to (8) of Schedule 23A to ICTA, if the payer is a non-UK resident company within the charge to corporation tax.

(9)For a power for regulations to make provision corresponding to subsections (3) to (7) for a case within subsection (2), see section 973 as applied by section 918(3) (and in particular section 974(1)(k)).