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Taxation (International and Other Provisions) Bill
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The Bill is divided into two volumes. Volume I contains the Clauses. Volume II |
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contains the Schedules to the Bill. |
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Explanatory notes to the Bill, prepared by Her Majesty’s Revenue and Customs, are |
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published separately as Bill 2—EN. |
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EUROPEAN CONVENTION ON HUMAN RIGHTS |
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Mr Chancellor of the Exchequer has made the following statement under section |
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19(1)(a) of the Human Rights Act 1998: |
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In my view the provisions of the Taxation (International and Other Provisions) Bill |
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are compatible with the Convention rights. |
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Double taxation relief by way of credit |
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Effect to be given to credit for foreign tax allowed against UK tax |
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Interpretation of Chapter |
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Credits where same income charged to income tax in more than one tax year |
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Cases in which credit not allowed |
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Exceptions to requirement to be UK resident |
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Calculating income or gains in respect of which credit is allowed |
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Limits on credit: general rules |
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Limit on, and reduction of, credit against income tax |
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Limit on credit against capital gains tax |
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Limit on total credit against income tax and capital gains tax |
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Limit on credit against corporation tax |
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Calculating tax for purposes of section 42(2) |
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Allocation of deductions etc to profits for purposes of section 42 |
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Taking account of foreign tax underlying dividends |
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Taking account of tax underlying dividends that is not foreign tax |
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Tax underlying dividend treated as underlying tax paid by dividend’s recipient |
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Tax underlying dividends: restriction of relief, and particular cases |
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When foreign tax disregarded in applying Part for corporation tax purposes |
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Special rules for discretionary trusts |
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Deduction for foreign tax where no credit allowed |
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European cross-border transfers of business |
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contract or intangible fixed assets |
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European cross-border mergers |
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contract or intangible fixed assets |
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Transparent entities involved in cross-border transfers and mergers |
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Cross-border transfers and mergers: chargeable gains |
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Interpretation of sections related to the Mergers Directive |
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Cases about being taxed otherwise than in accordance with double taxation arrangements |
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The Arbitration Convention |
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