C1C2F1Part 9ACompany distributions

Annotations:
Amendments (Textual)
F1

Pt. 9A inserted (with effect in accordance with Sch. 14 para. 31 of the amending Act) by Finance Act 2009 (c. 10), Sch. 14 para. 1 (with Sch. 14 para. 32)

Modifications etc. (not altering text)
C1

Pt. 9A modified (with effect in accordance with s. 1184(1) of the amending Act) by Corporation Tax Act 2010 (c. 4), ss. 787, 795, 1184(1) (with Sch. 2)

C2

Pt. 9A modified by 2010 c. 4, s. 814D(6) (as inserted (with effect in accordance with Sch. 29 para. 51 of the amending Act) by Finance Act 2013 (c. 29), Sch. 29 para. 2)

Chapter 3Exemption of distributions received by companies that are not small

Exempt classes: anti-avoidance

931JSchemes involving manipulation of controlled company rules

1

This section applies to a dividend that would, apart from this section, fall into an exempt class by virtue of section 931E.

2

The dividend does not fall into an exempt class by virtue of that section if—

a

the dividend is paid as part of a scheme the main purpose, or one of the main purposes, of which is to secure that dividends of the payer received by the recipient fall into an exempt class by virtue of that section, and

b

the following condition is met.

3

The condition is that the dividend is paid in respect of pre-control profits.

4

A dividend that falls into an exempt class otherwise than by virtue of section 931E is for the purposes of this section treated, so far as possible, as paid in respect of profits other than pre-control profits.

5

Any other dividend is for the purposes of this section treated, so far as possible, as paid in respect of pre-control profits.

6

In this section “pre-control profits” means any profits available for distribution at the time the dividend is paid that arose at a time when neither condition A nor condition B in section 931E was met.

7

Where—

a

the condition in subsection (2)(a) is met, and

b

by virtue of subsection (5) part of a dividend is treated as paid in respect of pre-control profits and part is treated as paid in respect of profits other than pre-control profits,

the two parts are treated for the purposes of this Part and F2Part 2 of TIOPA 2010 (double taxation relief) as separate dividends.