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SCHEDULES

SCHEDULE 20U.K.Controlled foreign companies and foreign permanent establishments

PART 3 U.K.Other amendments

TIOPA 2010U.K.

42(1)Section 179 (compensating payment if advantaged person is controlled foreign company) is amended as follows.U.K.

(2)For subsection (1) substitute—

(1)Subsection (2) applies if—

(a)the actual provision is provision made or imposed in relation to a CFC,

(b)for the purpose of determining the CFC's assumed taxable total profits for an accounting period, the CFC's profits and losses are to be calculated in accordance with section 147(3) or (5) in the case of that provision,

(c)in relation to the accounting period, sums are charged on chargeable companies at step 5 in section 371BC(1), and

(d)in consequence of the application of section 147(3) or (5) as mentioned in paragraph (b), the total of those sums is more than it would otherwise be.

(3)In subsection (2) for “controlled foreign company” substitute “ CFC ”.

(4)In subsection (3)—

(a)in paragraph (a) for “companies mentioned in subsection (1)(c)” substitute “ chargeable companies on which a sum is charged ”, and

(b)in paragraph (b) for “tax chargeable under section 747(4) of ICTA” substitute “ the CFC charge ”.

(5)For subsection (4) substitute—

(4)In this section terms which are defined in Part 9A have the same meaning as they have in that Part.

(5)For the purposes of subsections (1)(c) and (d) and (3)(a) assume that any claims made under Chapter 9 of Part 9A for the accounting period were not made.