Taxation (International and Other Provisions) Act 2010

Type Public General Act
Publication 2010-03-18
State In force
Department Statute Law Database
Reform history JSON API

Part 1 — Overview

Tax for period on intangible fixed assets

1

Part 2 — Double taxation relief

CHAPTER 1 — Double taxation arrangements and unilateral relief arrangements

Double taxation arrangements

Exclusion: UK activities a minority of total activities

2

those arrangements have effect.

The interest allowance of a worldwide group for a period of account

3

Joint ventures: supplementary

4

Orders under section 2: contents and procedure

5

The effect given by section 2 to double taxation arrangements

6

General regulations

7

Unilateral relief arrangements

Interpretation: “unilateral relief arrangements” means rules 1 to 9, etc

8

Rule 1: the unilateral entitlement to credit for non-UK tax

9

is to be allowed against any income tax or corporation tax calculated by reference to that income or gain.

is to be allowed against any capital gains tax calculated by reference to that gain.

Rule 2: accrued income profits

10

$$AIP×FTR$where—AIP is the amount of the accrued income profits, andFTR is the rate of tax to which the person is or would be liable as mentioned in subsection (1)(c).$

Rule 3: interaction between double taxation arrangements and rules 1 and 2

11

Rule 4: cases in which, and calculation of, credit allowed for tax on dividends

12

at least 10% of the voting power in P.

Rule 5: credit for tax charged directly on dividend

13

Rule 6: credit for underlying tax on dividend paid to 10% associate of payer

14

at least 10% of the voting power in P.

Rule 7: credit for underlying tax on dividend paid to sub-10% associate

15

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