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Income Tax Act 2007

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Changes over time for: Cross Heading: Manufactured overseas dividends

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Version Superseded: 19/07/2011

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Point in time view as at 06/04/2007.

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There are currently no known outstanding effects for the Income Tax Act 2007, Cross Heading: Manufactured overseas dividends. Help about Changes to Legislation

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Manufactured overseas dividendsU.K.

922Manufactured overseas dividends: payments by UK residents etcU.K.

(1)This section applies if a person who pays a manufactured overseas dividend as mentioned in section 581(1)—

(a)is UK resident, or

(b)pays the manufactured overseas dividend in the course of a trade carried on through a branch or agency in the United Kingdom.

(2)The payer of the manufactured overseas dividend must, on making the payment, deduct from the gross amount of the manufactured overseas dividend a sum representing income tax equal to the relevant withholding tax on the gross amount.

(3)This section is subject (in particular) to—

  • section 583 (manufactured payments exceeding underlying payments), and

  • section 585 (manufactured payments: power to deal with special cases).

(4)Provision about the collection of income tax in respect of a payment from which a sum must be deducted under this section may be included in regulations under section 586 or 925.

923Foreign payers of manufactured overseas dividends: the reverse chargeU.K.

(1)This section applies if a person who pays a manufactured overseas dividend as mentioned in section 581(1)—

(a)is non-UK resident, and

(b)pays the manufactured overseas dividend otherwise than in the course of a trade carried on through a branch or agency in the United Kingdom.

(2)The recipient must account for and pay income tax in respect of the manufactured overseas dividend if the recipient—

(a)is UK resident, or

(b)is non-UK resident but receives the manufactured overseas dividend for the purposes of a trade carried on by the recipient through a branch or agency in the United Kingdom.

(3)The amount of income tax to be accounted for and paid is equal to the amount of the sum representing income tax which the payer would have been required to deduct under section 922(2) if the payer had been UK resident.

(4)If the payer would not have been required to deduct any sum under section 922(2), the recipient is not required to account for and pay any income tax under this section.

(5)This section is subject to—

  • section 583 (manufactured payments exceeding underlying payments),

  • section 585 (manufactured payments: power to deal with special cases), and

  • section 924 (power to reduce liability under this section).

(6)Provision about the collection of income tax required to be accounted for and paid under this section may be included in regulations under section 586.

924Power to reduce section 923 liabilityU.K.

(1)The Treasury may by regulations provide for a reduction in the amount of tax to be accounted for and paid as a result of section 923.

(2)The reduction must be a reduction, to such extent and for such purposes as may be determined under the regulations, by reference to amounts of overseas tax charged on, or in respect of—

(a)the making of the manufactured overseas dividend, or

(b)the overseas dividend of which the manufactured overseas dividend is representative.

925Power to provide set-off entitlementU.K.

(1)The Treasury may by regulations provide for a person who, in any prescribed period, pays a manufactured overseas dividend as mentioned in section 581(1) to be entitled—

(a)to set off relevant amounts of tax suffered against relevant tax liabilities, and

(b)to account to the Commissioners for Her Majesty's Revenue and Customs for the balance or claim credit in respect of it.

(2)Regulations under this section may—

(a)prescribe the circumstances in which relevant amounts of tax suffered may be set off against relevant tax liabilities, and

(b)provide for relevant amounts of tax suffered to be set off against relevant tax liabilities in accordance with the regulations and so far as prescribed.

(3)“Relevant amounts of tax suffered” are—

(a)amounts of overseas tax in respect of overseas dividends received by the person in the prescribed period,

(b)amounts of overseas tax charged on, or in respect of, the making of manufactured overseas dividends received by the person in the prescribed period, and

(c)amounts—

(i)deducted as a result of section 922, or

(ii)accounted for and paid as a result of section 923,

from any manufactured overseas dividends received by the person in the prescribed period.

(4)“Relevant tax liabilities” are sums due from the person on account of the amounts deducted by the person as a result of section 922 from the manufactured overseas dividends paid by the person in the prescribed period.

(5)In this section—

  • credit” includes credit against corporation tax, and

  • prescribed” means prescribed in regulations under this section.

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