- Latest available (Revised)
- Original (As enacted)
There are currently no known outstanding effects for the Finance (No. 2) Act 2023, Section 168.
Revised legislation carried on this site may not be fully up to date. At the current time any known changes or effects made by subsequent legislation have been applied to the text of the legislation you are viewing by the editorial team. Please see ‘Frequently Asked Questions’ for details regarding the timescales for which new effects are identified and recorded on this site.
(1)This section applies where a member of a multinational group (“M”) is a flow-through entity.
(2)An entity is a flow-through entity if—
(a)it is regarded as tax transparent in the territory in which it is created, and
(b)it is not subject to a covered tax on its profits in another territory [F1as a result of being tax resident in that territory].
(3)A proportion of the underlying profits of M is to be allocated to each entity [F2or individual] (“O”) with an ownership interest in M in relation to which condition A or B is met.
(4)The proportion to be allocated to O is equal to the proportional ownership interest O has in M in relation to which condition A or B is met (subject to subsection (7)).
(5)Condition A is that—
(a)O is not regarded as tax transparent in the territory in which O is located,
(b)M is regarded as tax transparent in the territory in which O is located, and
(c)if O’s ownership interest in M is an indirect ownership interest in M—
(i)each entity through which O holds that interest is regarded as tax transparent in the territory in which O is located, and
(ii)this condition is not met in relation to any other entity through which O’s indirect ownership interest in M is held.
(6)Condition B is that—
(a)O is [F3an entity that is] a reverse hybrid entity,
(b)M is regarded as tax transparent in the territory in which O is located, and
(c)if O’s ownership interest in M is an indirect ownership interest—
(i)each entity through which it is held is regarded as tax transparent in the territory in which O is located, and
(ii)neither condition A nor this condition is met in relation to any other entity through which O’s indirect ownership interest in M is held.
(7)Where—
(a)underlying profits of M are allocated to an entity (“H”) as a result of it meeting condition B, and
(b)underlying profits of M are allocated to an entity (“J”) as a result of it meeting condition A in relation to an ownership interest it holds through H,
the underlying profits to be allocated to H are to be reduced by the profits allocated to J.
(8)Where underlying profits of M are allocated to a member of the group of which M is a member, those profits are to be included in the member’s adjusted profits and excluded from the adjusted profits of M.
[F4(9)Where underlying profits of M—
(a)are allocated to an individual or an entity that is not a member of the group of which M is a member, or
(b)would be allocated to such an individual or entity if M were regarded as tax transparent in the territory in which the individual or entity is located,
those profits are to be excluded from the adjusted profits of M.]
(10)Any amount of M’s underlying profits not allocated to an entity [F5or an individual] in accordance with this section is to be included in the adjusted profits of M.
(11)For the purposes of this section, an entity (“R”) is a “reverse hybrid entity” if R is regarded as tax transparent in the territory in which it [F6was created, R is not tax resident in any territory] and there is a territory—
(a)in which an entity with a direct ownership interest in R is located, and R is regarded in that territory as not being tax transparent, or
(b)in which an entity with an indirect ownership interest in R is located, and—
(i)R is regarded in that territory as not being tax transparent, and
(ii)each entity through which that ownership interest is held is regarded in that territory as tax transparent.
[F7(12)For the purposes of applying this section in relation to a multinational group whose ultimate parent is a flow-through entity, the ultimate parent is to be treated as if it were not regarded as tax transparent in the territory in which it is located.]
Textual Amendments
F1Words in s. 168(2)(b) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(2)
F2Words in s. 168(3) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(3)
F3Words in s. 168(6)(a) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(4)
F4S. 168(9) substituted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(5)
F5Words in s. 168(10) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(6)
F6Words in s. 168(11) substituted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(7)
F7S. 168(12) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 14(8)
The Whole Act you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.
Would you like to continue?
The Whole Act you have selected contains over 200 provisions and might take some time to download.
Would you like to continue?
The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.
Would you like to continue?
The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download.
Would you like to continue?
The Whole Act you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.
Would you like to continue?
The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.
Would you like to continue?
The Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.
Would you like to continue?
Latest Available (revised):The latest available updated version of the legislation incorporating changes made by subsequent legislation and applied by our editorial team. Changes we have not yet applied to the text, can be found in the ‘Changes to Legislation’ area.
Original (As Enacted or Made): The original version of the legislation as it stood when it was enacted or made. No changes have been applied to the text.
Geographical Extent: Indicates the geographical area that this provision applies to. For further information see ‘Frequently Asked Questions’.
Show Timeline of Changes: See how this legislation has or could change over time. Turning this feature on will show extra navigation options to go to these specific points in time. Return to the latest available version by using the controls above in the What Version box.
Access essential accompanying documents and information for this legislation item from this tab. Dependent on the legislation item being viewed this may include:
This timeline shows the different points in time where a change occurred. The dates will coincide with the earliest date on which the change (e.g an insertion, a repeal or a substitution) that was applied came into force. The first date in the timeline will usually be the earliest date when the provision came into force. In some cases the first date is 01/02/1991 (or for Northern Ireland legislation 01/01/2006). This date is our basedate. No versions before this date are available. For further information see the Editorial Practice Guide and Glossary under Help.
Use this menu to access essential accompanying documents and information for this legislation item. Dependent on the legislation item being viewed this may include:
Click 'View More' or select 'More Resources' tab for additional information including: