2001 No. 3873
INCOME TAX
The Double Taxation Relief (Surrender of Relievable Tax Within a Group) (Amendment) Regulations 2001
Made
Laid before the House of Commons
Coming into force
The Commissioners of Inland Revenue, in exercise of the powers conferred upon them by section 806H of the Income and Corporation Taxes Act 19881, hereby make the following Regulations:
Citation and commencement1.
These Regulations may be cited as the Double Taxation Relief (Surrender of Relievable Tax Within a Group) (Amendment) Regulations 2001 and shall come into force on 5th December 2001.
Amendment of the Double Taxation Relief (Surrender of Relievable Tax Within a Group) Regulations 20012.
In regulation 10(2) of the Double Taxation Relief (Surrender of Relievable Tax Within a Group) Regulations 20012, omit “404,”.
Nick Montagu
Dave Hartnett
Two of the Commissioners of Inland Revenue
(This note is not part of the Regulations)
These Regulations amend the Double Taxation Relief (Surrender of Relievable Tax Within A Group) Regulations 2001 (S.I. 2001/1163) by removing the rule that prevents a dual resident company from surrendering eligible unrelieved foreign tax. A dual resident company is one that in any accounting period is both resident in the United Kingdom and also within a charge to tax under the laws of a territory outside the United Kingdom.