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Version Superseded: 20/07/2005
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Income and Corporation Taxes Act 1988, Cross Heading: Requirements as to distributions is up to date with all changes known to be in force on or before 11 December 2024. There are changes that may be brought into force at a future date. Changes that have been made appear in the content and are referenced with annotations.
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1(1)For the purposes of this Chapter, an offshore fund pursues a full distribution policy with respect to an account period if—
(a)a distribution is made for that account period or for some other period which, in whole or in part, falls within that account period; and
(b)subject to Part II of this Schedule, the amount of the distribution which is paid to the holders of material and other interests in the fund—
(i)represents at least 85 per cent. of the income of the fund for that period, and
(ii)is not less than 85 per cent. of the fund’s United Kingdom equivalent profits for that period; and
(c)the distribution is made during that account period or not more than six months, or such longer period as the Board may in any particular case allow, after the expiry of it; and
(d)the form of the distribution is such that, if any sum forming part of it were received in the United Kingdom by a person resident there and did not form part of the profits of a trade, profession or vocation, that sum would fall to be chargeable to tax under [F1—
(i)Chapter 4 of Part 4 of ITTOIA 2005 (dividends from non-UK resident companies),
(ii)Chapter 8 of Part 5 of that Act (income not otherwise charged) so far as it relates to relevant foreign distributions (within the meaning given by section 1A(8) of this Act), or
(iii)]Case IV or V of Schedule D;
and any reference in this sub-paragraph to a distribution made for an account period includes a reference to any two or more distributions so made or, in the case of paragraph (b), the aggregate of them.
(2)Subject to sub-paragraph (3) below, with respect to any account period for which—
[F2(a)there is no income of the fund and there are no United Kingdom equivalent profits of the fund, or
(b)the amount of the gross income of the fund does not exceed 1 per cent. of the average value of the fund’s assets held during the account period,]
the fund shall be treated as pursuing a full distribution policy notwithstanding that no distribution is made as mentioned in sub-paragraph (1) above.
(3)For the purposes of this Chapter, an offshore fund shall be regarded as not pursuing a full distribution policy with respect to an account period for which the fund does not make up accounts.
(4)For the purposes of this paragraph—
(a)where a period for which an offshore fund makes up accounts includes the whole or part of two or more account periods of the fund, then, subject to paragraph (c) below, income shown in those accounts shall be apportioned between those account periods on a time basis according to the number of days in each period which are comprised in the period for which the accounts are made up;
(b)where a distribution is made for a period which includes the whole or part of two or more account periods of the fund, then, subject to sub-paragraph (5) below, the distribution shall be apportioned between those account periods on a time basis according to the number of days in each period which are comprised in the period for which the distribution is made;
(c)where a distribution is made out of specified income but is not made for a specified period, that income shall be attributed to the account period of the fund in which it in fact arose and the distribution shall be treated as made for that account period; and
(d)where a distribution is made neither for a specified period nor out of specified income, then, subject to sub-paragraph (5) below, it shall be treated as made for the last account period of the fund which ended before the distribution was made.
(5)If, apart from this sub-paragraph, the amount of a distribution made, or treated by virtue of sub-paragraph (4) above as made, for an account period would exceed the income of that period, then, for the purposes of this paragraph—
(a)if the amount of the distribution was determined by apportionment under sub-paragraph (4)(b) above, the excess shall be re-apportioned, as may be just and reasonable, to any other account period which, in whole or in part, falls within the period for which the distribution was made or, if there is more than one such period, between those periods; and
(b)subject to paragraph (a) above, the excess shall be treated as an additional distribution or series of additional distributions made for preceding account periods in respect of which the distribution or, as the case may be, the aggregate distributions would otherwise be less than the income of the period, applying the excess to later account periods before earlier ones, until it is exhausted.
(6)In any case where—
(a)for a period which is or includes an account period, an offshore fund is subject to any restriction as regards the making of distributions, being a restriction imposed by the law of any territory outside the United Kingdom; and
(b)the fund is subject to that restriction by reason of an excess of losses over profits (applying the concepts of “profits” and “losses” in the sense in which and to the extent to which they are relevant for the purposes of the law in question);
then in determining for the purposes of the preceding provisions of this paragraph the amount of the fund’s income for that account period, there shall be allowed as a deduction any amount which, apart from this sub-paragraph, would form part of the income of the fund for that account period and which cannot be distributed by virtue of the restriction.
Textual Amendments
F1Words in Sch. 27 para. 1(1)(d) inserted (6.4.2005 with effect in accordance with s. 883(1) of the amending Act) by Income Tax (Trading and Other Income) Act 2005 (c. 5), Sch. 1 para. 350(2) (with Sch. 2)
F2Sch. 27 para. 1(2)(a)(b) substituted (with effect in accordance with s. 134(9) of the amending Act) by Finance Act 1995 (c. 4), s. 134(4)
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