Part 2Charge to corporation tax: basic provisions

Chapter 1The charge to corporation tax

General scheme of corporation tax

5Territorial scope of charge

1

A UK resident company is F4chargeable to corporation tax on income on all its profits wherever arising F1(but see Chapter 3A for an exemption from charge in respect of profits of foreign permanent establishments).

F122

A non-UK resident company is F3within the charge to corporation tax on income only if—

a

it carries on a trade of dealing in or developing UK land (see section 5B), F5...

b

it carries on a trade in the United Kingdom (other than a trade of dealing in or developing UK land) through a permanent establishment in the United KingdomF2,

c

it carries on a UK property business, or

d

it has other UK property income.

F102A

A non-UK resident company which carries on a trade of dealing in or developing UK land is F13chargeable to corporation tax on income on all its profits wherever arising that are profits of that trade.

3

A non-UK resident company which carries on a trade in the United Kingdom through a permanent establishment in the United Kingdom is F7chargeable to corporation tax on income on all its profits wherever arising that are chargeable profits as defined in section 19 (profits attributable to its permanent establishment in the United Kingdom).

F83A

A non-UK resident company which carries on a UK property business is chargeable to corporation tax on income on all its profits that are—

a

profits of that business, or

b

profits arising from loan relationships or derivative contracts that the company is a party to for the purposes of that business.

3B

A non-UK resident company which has other UK property income is chargeable to corporation tax on income on all its profits that—

a

consist of that income, or

b

are profits arising from loan relationships or derivative contracts that the company is a party to for the purposes of enabling it to generate that income.

4

Subsections (1) F11and (2A) to (3B) are subject to any exceptions provided for by the Corporation Tax Acts.

F95

The territorial scope of the charge to corporation tax on chargeable gains is given by section 2B of TCGA 1992.

F66

In this Part “other UK property income” means income dealt with by any of the following Chapters of Part 4—

a

Chapter 7 (rent receivable in connection with a UK section 39(4) concern);

b

Chapter 8 (rent receivable for UK electric-line wayleaves);

c

Chapter 9 (post-cessation receipts arising from a UK property business).