Part 13Tax avoidance

Chapter 2Transfer of assets abroad

Charge where power to enjoy income

725Reduction in amount charged where controlled foreign company involved

F1(1)

This section applies if—

(a)

under Part 9A of TIOPA 2010 (controlled foreign companies), the CFC charge is charged in relation to a CFC's accounting period,

F2(b)

an amount of income is treated as arising to an individual under section 721 for a tax year, and

(c)

the income mentioned in section 721(2) is or includes a sum forming part of the CFC's chargeable profits for that accounting period.

(2)

The amount of income so treated is reduced by—

S×CACPmath

where—

S is the sum forming part of the F3CFC's chargeable profits for that accounting period,

CA is the F4CFC's chargeable profits for that accounting period so far as apportioned to chargeable companies at step 3 in section 371BC(1) of TIOPA 2010, and

CP is the F3CFC's chargeable profits for that accounting period.

F5(2A)

In a case in which section 724 applies, the reference to S in the formula in subsection (2) is to be read as a reference to X% of S.

(2B)

“X%” is determined as follows—

100 % × A I

where—

A is the amount on which the individual is liable as determined under section 724(2), and

I is the amount of the income mentioned in section 721(2).

F6(3)

Terms used in this section which are defined in Part 9A of TIOPA 2010 have the same meaning as in that Part.