PART XVII TAX AVOIDANCE

C1C2C3CHAPTER IV CONTROLLED FOREIGN COMPANIES

Annotations:
Modifications etc. (not altering text)
C1

Pt. XVII Ch. IV (ss. 747-756) modified (27.7.1993) by 1993 c. 34, s. 119(3)

748F1Cases where section 747(3) does not apply.

F4M11

No apportionment under section 747(3) falls to be made as regards an accounting period of a controlled foreign company if—

a

in respect of that period the company pursues, within the meaning of Part 1 of Schedule 25, an acceptable distribution policy; or

b

throughout that period the company is, within the meaning of Part II of that Schedule, engaged in exempt activities; or

c

the public quotation condition set out in Part III of that Schedule is fulfilled with respect to that period; or

d

the chargeable profits of the accounting period do not exceed F5£50,000 or, if the accounting period is less than 12 months, a proportionately reduced amount;F6 or

e

as respects the accounting period, the company is, within the meaning of regulations made by the Board for the purposes of this paragraph, resident in a territory specified in the regulations and satisfies—

i

such conditions with respect to its income or gains as may be so specified; and

ii

such other conditions (if any) as may be so specified.

F71A

Regulations under paragraph (e) of subsection (1) above may—

a

make different provision for different cases or with respect to different territories;

b

make provision having effect in relation to accounting periods of controlled foreign companies ending not more than one year before the date on which the regulations are made; and

c

contain such supplementary, incidental, consequential and transitional provision as the Board may think fit.

2

F8. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .

3

Notwithstanding that none of paragraphs (a) to F9(e) of subsection (1) above applies to an accounting period of a controlled foreign company, F10no apportionment under section 747(3) falls to be made as regards that accounting period if it is the case that

a

in so far as any of the transactions the results of which are reflected in the profits arising in that accounting period, F3or any two or more transactions taken together, the results of at least one of which are so reflected, achieved a reduction in United Kingdom tax, either the reduction so achieved was minimal or it was not the main purpose or one of the main purposes of that transaction or, as the case may be, of those transactions taken together to achieve that reduction, and

b

it was not the main reason or, as the case may be, one of the main reasons for the company’s existence in that accounting period to achieve a reduction in United Kingdom tax by a diversion of profits from the United Kingdom,

and Part IV of Schedule 25 shall have effect with respect to the preceding provisions of this subsection.

F24

Where by virtue of section 747A a company’s chargeable profits for an accounting period are to be computed and expressed in a currency other than sterling, for the purposes of subsection (1)(d) above its chargeable profits for the period shall be taken to be the sterling equivalent of its chargeable profits found in the currency other than sterling.

5

The translation required by subsection (4) above shall be made by reference to the London closing exchange rate for the two currencies concerned for the last day of the accounting period concerned.

F116

This section is subject to section 748A.