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Taxation (International and Other Provisions) Act 2010

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[F1Chapter 15U.K.Relevant interests in a CFC

Textual Amendments

F1Pt. 9A inserted (17.7.2012) by Finance Act 2012 (c. 14), Sch. 20 para. 1 (with ss. 56-58)

IntroductionU.K.

371OAApplication of ChapterU.K.

This Chapter applies for the purpose of determining the persons who have “relevant interests” in a CFC for the purposes of step 1 in section 371BC(1).

371OBProvision about interpretationU.K.

(1)This section applies for the purposes of this Chapter.

(2)A person's interest in a company is an “indirect” interest so far as the person has the interest by virtue of having an interest in another company; and references to a “direct” interest in a company are to be read accordingly.

(3)An interest held by an open-ended investment company within the meaning of Chapter 2 of Part 13 of CTA 2010 (see sections 613 and 615) is treated as held by the company's shareholders in proportion to their shareholdings.

(4)An interest held by the trustees of an authorised unit trust is treated as held by the persons who have rights under the trust in proportion to their rights.

(5)An interest held by a bare trustee or nominee (including by virtue of subsection (3) or (4)) is treated as held by the person or persons for whom the bare trustee or nominee holds the interest.

(6)Bare trustee” means a person acting as trustee for—

(a)a person absolutely entitled as against the trustee,

(b)two or more persons who are so entitled,

(c)a person who would be so entitled but for being a minor or otherwise lacking legal capacity, or

(d)two or more persons who would be so entitled but for all or any of them being a minor or otherwise lacking legal capacity.

(7)Subsection (8) applies in a case not covered by subsection (5) if—

(a)an interest is held in a fiduciary or representative capacity (including by virtue of subsection (3) or (4)), and

(b)there are one or more identifiable beneficiaries.

(8)The interest is taken to be held by that beneficiary or, as the case may be, apportioned between those beneficiaries on a just and reasonable basis.

What is a “relevant interest” in a CFC?U.K.

371OC“Relevant interests” of UK resident companiesU.K.

(1)A UK resident company's interest in a CFC is a “relevant interest”, except so far as subsection (2) applies to it.

(2)This subsection applies to the interest so far as it is an indirect interest which the UK resident company has by virtue of having an interest in another UK resident company.

371OD“Relevant interests” of persons related to UK resident companiesU.K.

(1)This section applies if, by virtue of section 371OC, a UK resident company (“UKRC”) has a relevant interest in a CFC.

(2)A related person's interest in the CFC is a “relevant interest”, except so far as subsection (4) or (5) applies to it.

(3)Related person” means a person, other than a UK resident company, who is connected or associated with UKRC.

(4)This subsection applies to the related person's interest so far as it is an indirect interest which the related person has by virtue of having an interest in a UK resident company or another related person.

(5)This subsection applies to the interest so far as it is the same as UKRC's relevant interest in the CFC by virtue of UKRC having an interest in the related person.

371OEOther “relevant interests”U.K.

(1)This section applies if a person (“P”) has a direct interest in a CFC which is not a relevant interest by virtue of section 371OC or 371OD.

(2)P's direct interest is a “relevant interest”, except so far as subsection (3) applies to it.

(3)This subsection applies to P's direct interest so far as it is the same as another person's relevant interest in the CFC by virtue of the other person having an interest in P.

(4)In subsection (3) the reference to another person's relevant interest is to another person's relevant interest by virtue of section 371OC or 371OD.]

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