Schedule 17Index of expressions defined or explained in Parts 3 and 4
Term | Provision defining or explaining it |
---|---|
acceptable accounting standards | |
acceptable overseas GAAP | |
accounting currency | |
accounting purposes | |
additional top-up amount | sections 203 and 206 |
adjusted profits | |
authorised accounting standard | |
carrying value | |
F1CFC entity | section 179(4) |
F2CFS currency | section 254(1) |
combined covered tax balance | |
company | |
connected | |
consolidated group | |
controlled foreign company tax regime | |
controlling interest | |
F2country-by-country report | section 251A |
F2covered bond vehicle | section 272A(5) |
covered tax balance (and positive covered tax balance and negative covered tax balance) | |
covered taxes | |
current tax | |
deferred tax | |
deferred tax expense | |
deferred tax asset | |
deferred tax liability | |
direct ownership interest | |
disqualified refundable imputation tax | |
F2domestic entity purposes (in Part 4) | section 273(1) |
F2domestic purposes (in Part 4) | section 272(1) |
domestic top-up tax | |
DTT excluded entity (in Part 4) | |
eligible distribution tax system | |
eligible payroll costs | |
eligible tangible asset amount | |
entity | |
excluded dividends | |
excluded entity | |
excluded equity gain or loss | |
fair value | |
filing member | |
flow-through entity | |
F3general partner (in Schedule 14) | paragraph 3(3) of Schedule 14 |
F4governmental entity | |
group (in Part 4) | |
held for sale | |
HMRC | |
impairment | |
indirect ownership interest | |
information return | |
international accounting standards | |
international financial reporting standards | |
investment entity | |
investment fund | |
joint venture group | |
joint venture parent | |
joint venture subsidiary | |
F3limited partnership (in Schedule 14) | paragraph 3(3) of Schedule 14 |
location (of an entity) | |
main entity (in relation to a permanent establishment) | |
material competitive distortions | section 249(4) and (5) |
merger | |
minority owned member | |
minority subgroup | |
mobile income | |
multinational group | |
multinational top-up tax | |
multi-parent group | |
OECD tax model | |
other comprehensive income | |
ownership interest | |
overseas REIT equivalent | |
F3partnership | section 259(1) |
pension fund | |
F5pension services entity | |
permanent establishment | |
Pillar Two rules | |
Pillar Two territory | |
property, plant and equipment | |
protected cell company (and “part”, “cell” and “core”) | |
QDT credit | |
qualified refundable imputation tax | |
qualifying (in relation to a multinational group) | |
qualifying (in relation to a refundable tax credit) | |
qualifying authority | |
qualifying current tax expense | |
qualifying de-merger | |
qualifying domestic top-up tax | |
qualifying entity (in Part 4) | |
qualifying financial statements (in Part 4) | |
qualifying reorganisation | |
qualifying undertaxed profits tax | |
refundable tax credit | |
recapture amount | |
registered group | |
responsible member | |
F2securitisation company | section 267(4) |
special loss deferred tax asset | |
standard member | section 132(3)(a) (but see also section 228) |
stateless entity | |
subject to Pillar Two IIR tax | |
substance based income exclusion | |
tax currency | |
F2tax equity partnership arrangement | section 176D(5) |
tax expense | |
tax expense amount | |
tax transparent (in relation to an entity) | |
taxable income | |
third currency | |
total deferred tax adjustment amount | |
F2transitional safe harbour election | section 255(6) |
underlying profits | |
underlying profits accounts | |
UK GAAP | |
UK REIT | |
ultimate parent | |
uncertain tax position |