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“Manufactured overseas dividend” means an amount which—
(a)is representative of an overseas dividend on overseas securities, and
(b)is required to be paid by one person to another under an arrangement between them for the transfer of the overseas securities.
(1)This section applies if—
(a)a company (“the payer”) pays a manufactured overseas dividend, and
(b)the overseas dividend of which the manufactured overseas dividend is representative is taxable.
(2)For this purpose an overseas dividend is taxable if—
(a)it is received by the payer and the charge to corporation tax on income applies to it, or
(b)it is received by a person other than the payer and the charge to corporation tax on income would have applied to it if it had been received by the payer.
(3)If—
(a)the payer carries on a trade to which the manufactured overseas dividend relates, and
(b)neither subsection (4) nor subsection (6) applies,
the manufactured overseas dividend is treated as an expense of the trade.
(4)If the payer has investment business to which the manufactured overseas dividend relates, the manufactured overseas dividend is treated as expenses of management of the business for the purposes of Part 16 of CTA 2009.
(5)Subsection (6) applies if the payer carries on life assurance business to which the manufactured overseas dividend relates.
(6)So far as the manufactured overseas dividend is referable to basic life assurance and general annuity business, the manufactured overseas dividend is treated [F1for the purposes of section 76 of FA 2012 as a deemed BLAGAB management expense for the accounting period in which it is paid.]
(7)For the purposes of subsection (6), the manufactured overseas dividend is treated as referable to basic life assurance and general annuity business so far as the overseas dividend of which it is representative—
(a)is received by the payer and is so referable [F2in accordance with Chapter 4 of Part 2 of FA 2012] (apportionment of income and gains), or
(b)is received by another person and would have been so referable [F3in accordance with that Chapter] if it had been received by the payer.
Textual Amendments
F1Words in s. 791(6) substituted (17.7.2012) by Finance Act 2012 (c. 14), Sch. 16 para. 222(2)
F2Words in s. 791(7)(a) substituted (17.7.2012) by Finance Act 2012 (c. 14), Sch. 16 para. 222(3)(a)
F3Words in s. 791(7)(b) substituted (17.7.2012) by Finance Act 2012 (c. 14), Sch. 16 para. 222(3)(b)
(1)This section applies if—
(a)a person pays a manufactured overseas dividend,
(b)section 922(1) of ITA 2007 (manufactured overseas dividends: payments by UK residents etc) applies, and
(c)the amount required to be deducted as a result of that section has been deducted.
(2)Subsections (3) and (4) apply in relation to the recipient, and companies claiming title through or under the recipient, for all purposes of the Corporation Tax Acts except Part 5 of CTA 2009 (loan relationships).
(3)The manufactured overseas dividend is treated as if it were—
(a)an overseas dividend of an amount equal to the gross amount of the manufactured overseas dividend, but
(b)paid after the withholding from it, on account of overseas tax, of the amount specified in section 793.
(4)The amount mentioned in subsection (3)(b) is accordingly to be treated as an amount withheld on account of overseas tax instead of as an amount on account of income tax.
(5)Subsections (3) and (4) are subject to—
(a)section 797 (manufactured overseas dividends: amounts exceeding underlying payments), and
(b)section 798 (manufactured overseas dividends less than underlying payments).
(1)Except where subsection (3) applies, the amount mentioned in section 792(3)(b) is the amount deducted under section 922(2) of ITA 2007.
(2)Subsection (3) applies if the deduction under section 922(2) of ITA 2007 is made in respect of a manufactured overseas dividend that is treated as paid under section 925A of ITA 2007 (creditor repos).
(3)The amount mentioned in section 792(3)(b) is—
(a)if subsection (4) applies, the amount deducted under section 922(2) of ITA 2007,
(b)if subsection (5) applies—
(i)the amount deducted under section 922(2) of ITA 2007, less
(ii)the excess mentioned in subsection (5)(b), and
(c)in any other case, nil.
(4)This subsection applies if—
(a)an amount is actually paid by way of manufactured overseas dividend,
(b)the amount so paid equals the relevant net amount, and
(c)it is reasonable to assume that, in deciding the repurchase price of the securities, no account was taken of the fact that the amount would be so paid.
(5)This subsection applies if—
(a)an amount is actually paid by way of manufactured overseas dividend,
(b)the amount so paid exceeds the relevant net amount, and
(c)it is reasonable to assume that, in deciding the repurchase price of the securities, no account was taken of the fact that the amount would be so paid.
(6)In subsections (4)(b) and (5)(b) “the relevant net amount” means—
(a)the gross amount of the overseas dividend of which the manufactured overseas dividend is representative, less
(b)the amount deducted under section 922(2) of ITA 2007.
(7)In subsections (4)(c) and (5)(c)—
(a)“the securities” refers to the securities in respect of which the overseas dividend of which the manufactured overseas dividend is representative is paid, and
(b)the references to the repurchase price of those securities are to the price at which the payer of the manufactured overseas dividend is entitled or obliged to sell the securities, or similar securities, to the recipient of the manufactured overseas dividend.
[F4(8)If, in accordance with this section, the amount mentioned in section 792(3)(b) is not the amount deducted under section 922(2) of ITA 2007, nothing in the Tax Acts is to be read as having the effect that, in relation to the persons mentioned in section 792(2) for the purposes mentioned there, the difference between those amounts is to be regarded as an amount on account of income tax.]
Textual Amendments
F4S. 793(8) inserted (with effect in accordance with s. 22(4) of the amending Act) by Finance Act 2012 (c. 14), s. 22(2)
(1)This section applies if—
(a)a person pays a manufactured overseas dividend,
(b)section 923(1) of ITA 2007 (foreign payers of manufactured overseas dividends: the reverse charge) applies, and
(c)the amount of income tax required to be accounted for and paid under that section has been accounted for and paid.
(2)Subsections (3) and (4) apply in relation to the recipient, and companies claiming title through or under the recipient, for all purposes of the Corporation Tax Acts except Part 5 of CTA 2009 (loan relationships).
(3)The manufactured overseas dividend is treated as if it were—
(a)an overseas dividend of an amount equal to the gross amount of the manufactured overseas dividend, but
(b)paid after the withholding from it, on account of overseas tax, of the amount accounted for and paid as a result of section 923 of ITA 2007.
(4)The amount mentioned in subsection (3)(b) is accordingly to be treated as an amount withheld on account of overseas tax instead of as an amount on account of income tax.
(5)Subsections (3) and (4) are subject to—
(a)section 797 (manufactured overseas dividends: amounts exceeding underlying payments), and
(b)section 798 (manufactured overseas dividends less than underlying payments).
(1)Part 9A of CTA 2009 (company distributions), in its application in relation to a manufactured overseas dividend as a result of section 792 or 794, has effect—
(a)as if the manufactured overseas dividend were an overseas dividend on the overseas securities in question, and
(b)with the following modification.
(2)The modification is that—
(a)references in that Part to the payer are to be treated as references to the company that pays the dividend of which the manufactured overseas dividend is representative, and
(b)the definition of “the payer” in section 931T is to be treated as omitted.
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