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United Kingdom Statutory Instruments


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URL: http://www.bailii.org/uk/legis/num_reg/2001/20011156.html

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STATUTORY INSTRUMENTS


2001 No. 1156

INCOME TAX

The Double Taxation Relief (Taxes on Income) (Underlying Tax on Dividends and Dual Resident Companies) Regulations 2001

  Made 26th March 2001 
  Laid before the House of Commons 26th March 2001 
  Coming into force 31st March 2001 

The Treasury in exercise of the powers conferred by section 801(2A)(b) of the Income and Corporation Taxes Act 1988[1] hereby make the following Regulations:

Citation, commencement and application
     1.  - (1) These Regulations may be cited as the Double Taxation Relief (Taxes on Income) (Underlying Tax on Dividends and Dual Resident Companies) Regulations 2001.

    (2) These Regulations shall come into force on 31st March 2001 and shall apply in relation to any claim for an allowance by way of credit made on or after that date in respect of a dividend paid by an overseas company to a company resident in the United Kingdom, unless the dividend was paid before that date.

Interpretation
    
2. In these Regulations - 

Additional cases prescribed for the purposes of section 801(2) of the Act
    
3.  - (1) The cases specified in paragraphs (2) and (3) are prescribed for the purposes of section 801(2) (cases where the overseas company receives a dividend from a related third company and in respect of which relief allowable for underlying tax is subject to a restriction under section 799(1)(b)).

    (2) The case specified in this paragraph is that the overseas company is a dual resident company as respects an accounting period, and although resident in the same territory as the third company - 

    (3) The case specified in this paragraph is that the third company is a dual resident company as respects an accounting period and although resident in the same territory as the overseas company - 


Jim Dowd

Greg Pope
Two of the Lords Commissioners of Her Majesty's Treasury

26th March 2001



EXPLANATORY NOTE

(This note is not part of the Regulations)


These Regulations prescribe additional cases in which the restriction on relief from UK tax to the underlying rate of tax applies in respect of dividends which are paid to the United Kingdom by overseas companies.

Regulation 1 provides for the citation and commencement of the Regulations.

Regulation 2 provides for the interpretation of expressions used in the Regulations.

Regulation 3 prescribes additional cases in which the cap on relief in respect of foreign taxation on dividends paid by overseas companies is to apply. The cap is contained in section 799(1)(b) and (1A) of the Income and Corporation Taxes Act 1988 (c.1) ("the Taxes Act"). The additional cases are those in which either the overseas company paying the dividend to the United Kingdom, or the third company which has paid a dividend over to an overseas company which it in turn pays to the United Kingdom, is a dual resident company resident in the same overseas territory as the other company but treated as resident in a different territory.

A company may be so treated because - 

Section 799 of the Taxes Act is amended by paragraph 8 of Schedule 30 to the Finance Act 2000 (c.17) with respect to any claim for an allowance by way of credit made on or after 31st March 2001 in respect of a dividend paid by an overseas company to a company resident in the United Kingdom, unless the dividend was paid before that date.


Notes:

[1] 1988 c.1. Subsection (2A) is inserted into section 801 by paragraph 11 of Schedule 30 to the Finance Act 2000 (c.17).back

[2] Section 749 was substituted by paragraph 4 of Schedule 17 to the Finance Act 1998 (c.39).back



ISBN 0 11 029334 7


 © Crown copyright 2001

Prepared 20 April 2001


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URL: http://www.bailii.org/uk/legis/num_reg/2001/20011156.html