SCHEDULES

Schedule 23A MANUFACTURED DIVIDENDS AND INTEREST

Manufactured dividends representative of foreign income dividends

2B

(1)

Where a manufactured dividend to which paragraph 2(2) above applies is representative of a foreign income dividend, the Tax Acts shall have effect for all purposes as if—

(a)

the deemed dividend of the dividend manufacturer were itself a foreign income dividend; and

(b)

that foreign income dividend were one in respect of which the dividend manufacturer is not liable to make any payment of advance corporation tax.

(2)

Where a manufactured dividend to which paragraph 2(3) above applies is representative of a foreign income dividend—

(a)

the Tax Acts shall have effect, in relation to the recipient and any persons claiming title through or under him, as if the dividend on the United Kingdom equities which the recipient is treated as having received were a foreign income dividend;

(b)

there shall be no requirement for any person to account for tax in respect of that manufactured dividend by virtue of paragraph 2(3)(a) above;

(c)

any deduction made in respect of the manufactured dividend under paragraph 2A(1) above shall be made without including an amount equal to the notional ACT in the deduction; and

(d)

the dividend manufacturer, on paying the manufactured dividend in any case falling within sub-paragraph (3) below, shall provide the recipient with a statement in writing setting out the matters specified in sub-paragraph (4) below.

(3)

A case falls within this sub-paragraph where, were it not for sub-paragraph (2)(a) and (b) above, the dividend manufacturer would be required to provide such a statement as is mentioned in paragraph 2(6) above.

(4)

Those matters are—

(a)

the amount of the manufactured dividend;

(b)

the date on which it is paid;

(c)

the fact that the dividend carries no entitlement to a tax credit; and

(d)

in the case of a manufactured dividend which is representative of a qualifying distribution to which Schedule 7 to the Finance Act 1997 applies, the fact that the distribution is a foreign income dividend by virtue of paragraph 2(1) of that Schedule.

(5)

The Board may give directions as to the form that must be taken by a statement provided for the purposes of sub-paragraph (2)(d) above.

(6)

The duty imposed by sub-paragraph (2)(d) above shall be enforceable at the suit or instance of the recipient.