PART 2 U.K.Digital services tax

Charge to taxU.K.

46Meaning of “the threshold conditions”U.K.

(1)For the purposes of this Part “the threshold conditions”, in relation to a group, for an accounting period are—

(a)that the total amount of digital services revenues arising in that period to members of the group exceeds £500 million, and

(b)that the total amount of UK digital services revenues arising in that period to members of the group exceeds £25 million.

(2)But if the duration of the accounting period is less than a year, the amounts mentioned in subsection (1)(a) and (b) are proportionately reduced.

47Charge to DSTU.K.

(1)This section applies where the threshold conditions are met in relation to a group for an accounting period.

(2)Each person who was a member of the group in the accounting period (a “relevant person”) is liable to digital services tax in respect of UK digital services revenues arising in that period.

(3)To find the liability of a relevant person to digital services tax in respect of the accounting period, take the following steps.

(4)In this section “the appropriate proportion” means such proportion of the total amount of UK digital services revenues arising to members of the group in the accounting period as is attributable to the relevant person.

(5)If the duration of the accounting period is less than a year, the sum mentioned in step 2 of subsection (3) is proportionately reduced.

(6)This section is subject to section 48 (alternative basis of charge).

48Alternative basis of chargeU.K.

(1)This section applies if a valid election under this section in respect of an accounting period has been made in the group's DST return for that period (whether as originally made or by amendment).

(2)An election under this section is valid if it specifies the categories of revenues in relation to which it applies (or specifies that it applies in relation to all categories).

(3)For this purpose, the categories of revenues are—

(a)revenues arising in connection with any social media service;

(b)revenues arising in connection with any internet search engine;

(c)revenues arising in connection with any online marketplace.

(4)To find the liability of a relevant person to digital services tax in respect of the accounting period, take the following steps (instead of the steps set out in section 47(3)).

(5)If the duration of the accounting period is less than a year, the sum mentioned in step 3 of subsection (4) is proportionately reduced.

(6)In this section—

49Section 48: meaning of “relevant operating expenses”U.K.

(1)This section supplements section 48.

(2)The “relevant operating expenses” of a group, in relation to a specified category of revenues, means any expenses of a member of the group attributable to the earning of UK digital services revenues within the specified category, except excluded expenses.

(3)Excluded expenses” means any expenses—

(a)in respect of interest (or anything equivalent, from a commercial perspective, to interest),

(b)attributable to the acquisition of a business or part of a business,

(c)occurring otherwise than in the normal course of business,

(d)resulting from a change in the valuation of any tangible or intangible asset, or

(e)in respect of any tax (arising under the law of any territory).

(4)Where expenses are attributable to—

(a)the earning of UK digital services revenues within the specified category, and

(b)anything else,

the expenses are to be treated as relevant operating expenses to such extent as is just and reasonable.

(5)In this section “specified” has the meaning given by section 48.

50Relief for certain cross-border transactionsU.K.

(1)This section applies if a claim under this section in respect of an accounting period has been included in the group's DST return for that period (whether as originally made or by amendment).

(2)For the purposes of step 1 in section 47(3) or 48(4), disregard 50% of any UK digital services revenues arising to a member of the group in the accounting period in connection with a relevant cross-border transaction.

(3)For the purposes of step 4 in section 48(4), disregard 50% of any relevant operating expenses of a member of the group recognised in the accounting period that result from a relevant cross-border transaction.

(4)Relevant cross-border transaction” means a marketplace transaction where—

(a)the online marketplace is provided by a member of the group,

(b)a foreign user is a party to the transaction, and

(c)all or part of any revenues arising to a member of the group in connection with the transaction are (or would be) subject to a foreign DST charge.

(5)In this section—

51When DST is due and payableU.K.

Digital services tax in respect of an accounting period is due and payable on the day following the end of 9 months from the end of the accounting period.