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Statutory Instrument 2003 No. 2582The Income Tax (Manufactured Overseas Dividends) (Amendment) Regulations 2003(The document as of February, 2008) STATUTORY INSTRUMENTS2003 No. 2582INCOME TAXThe Income Tax (Manufactured Overseas Dividends) (Amendment) Regulations 2003
The Treasury, in exercise of the powers conferred upon them by paragraphs 1(1), 4(6) to (7AA) and 8 of Schedule 23A to the Income and Corporation Taxes Act 1988[1], make the following Regulations: Citation and commencement 1.These Regulations may be cited as the Income Tax (Manufactured Overseas Dividends) (Amendment) Regulations 2003 and shall come into force on 1st November 2003. Amendments to the Income Tax (Manufactured Overseas Dividends) Regulations 1993 2.The Income Tax (Manufactured Overseas Dividends) Regulations 1993[2] are amended as follows. Amendments to regulation 2 3. - (1) Amend regulation 2 (interpretation)[3] as follows. (2) In paragraph (1) -
(b) omit the definition of "the Double Taxation Relief Regulations"[4]; (c) for the definition of "United Kingdom recipient" substitute -
(3) After paragraph (2) add -
Amendments to regulation 3
(5) This paragraph applies where the approved United Kingdom intermediary or approved United Kingdom collecting agent pays, in accordance with regulation 5, and without deduction of tax, a manufactured overseas dividend representative of the same overseas dividend as is represented by the manufactured overseas dividend received by him. (6) This paragraph applies where the approved United Kingdom collecting agent is required to pay to an approved United Kingdom intermediary a manufactured overseas dividend representative of the same overseas dividend as is represented by the manufactured overseas dividend received by him and the approved United Kingdom intermediary -
(b) issues a notice to the approved United Kingdom collecting agent authorising him to make the payment without deduction of tax.". Amendments to regulation 5
(b) for "the circumstances prescribed by paragraph (2)" substitute "either of the circumstances prescribed by paragraphs (1B) and (2)". (3) After paragraph (1) insert -
(1B) The circumstances prescribed by this paragraph are where -
(b) the payment is to or for the benefit of a person beneficially entitled to it who is not a United Kingdom recipient; and (c) regulation 4(1) does not apply.". (4) In paragraph (2) -
(b) in sub-paragraph (b)(ii) for the words from "branch or agency" to "applies" substitute "permanent establishment in the United Kingdom and makes the payment to or for the benefit of a person beneficially entitled to it who is not a United Kingdom recipient". Amendment to regulation 6
(b) omit sub-paragraph (b). Amendment to regulation 8
(2B) Where paragraph (2A) applies -
(b) no other relief under Part 18 of the Taxes Act may be claimed by him in respect of any such tax.". Amendments to regulation 10
(b) for "recipient of the manufactured overseas dividend paid" substitute "United Kingdom recipient". (4) In paragraph (3) -
(b) in sub-paragraph (a) and in sub-paragraph (b) (three times) for "paid" substitute "so paid"; (c) in sub-paragraph (c) for "recipient" substitute "United Kingdom recipient". (5) In paragraph (4) -
(b) in sub-paragraphs (a) and (b) for "paid" substitute "so paid"; (c) in sub-paragraph (c) for "recipient" substitute "United Kingdom recipient". Amendments to regulation 14
(ba) his grounds for believing that the payment should be made without deduction of tax, and." (3) For paragraphs (2) and (3) substitute -
(3) An overseas dividend manufacturer or an approved United Kingdom collecting agent -
(ii) any evidence relevant to his grounds for believing that the payment should be made without deduction of tax; and (b) whenever required to do so within that period, shall make any such record or evidence available for inspection by an officer of the Board.". (4) In paragraph (4) for "certificate" substitute "evidence". (This note is not part of the Regulations) These Regulations amend the Income Tax (Manufactured Overseas Dividends) Regulations 1993 (S.I. 1993/2004) ("the principal Regulations"). The main purpose of the amendments is to remove the requirements for persons making payments of manufactured overseas dividends (within the meaning given by paragraph 4(1) of Schedule 23A to the Income and Corporation Taxes Act 1988 (c. 1)) to account for and pay tax in respect of such payments where payment is to persons who are not United Kingdom recipients (within the meaning given by paragraph 4(3A) of that Schedule). The amendments also take into account the general replacement of references in tax legislation to "branch or agency" by references to "permanent establishment" (see section 153 of the Finance Act 2003 (c. 14)). Regulation 1 provides for citation and commencement. Regulation 2 introduces the amendments to the principal Regulations. Regulation 3 amends regulation 2 (interpretation). Regulation 4 amends regulation 3 (prescribed rates of relevant withholding tax). Regulation 5 amends regulation 4 (tax treatment of approved manufactured overseas dividends paid to approved United Kingdom intermediaries or approved United Kingdom collecting agents). Regulation 6 amends regulation 5 (tax treatment of approved manufactured dividends paid to persons resident outside the United Kingdom). Regulation 7 amends regulation 6 (retention and record of notices given under regulations 4 and 5). Regulation 8 amends regulation 7(2) (disapplication of paragraph 4(3) of Schedule 23A). Regulation 9 amends regulation 8 (tax treatment of manufactured overseas dividends to which regulations 4, 5 and 7 apply - further provision). Regulation 10 amends regulation 9A (offsetting of tax by overseas dividend manufacturers who are not United Kingdom intermediaries). Regulation 11 amends regulation 10 (matching of dividends and manufactured overseas dividends). Regulation 12 amends regulation 14 (records to be kept in respect of certain manufactured overseas dividends paid without deduction of tax). Notes: [1] 1988 c. 1. Schedule 23A was inserted by paragraph 1 of Schedule 13 to the Finance Act 1991 (c. 31). Paragraph 1(1) is cited for the meanings of "dividend manufacturing regulations" and "prescribed". Sub-paragraph (7) of paragraph 4 was amended, and sub-paragraph (7AA) of that paragraph was inserted, by section 159(6) of the Finance Act 1996 (c. 8). Paragraph 8 was amended by section 159(7) and (8) of the Finance Act 1996 and paragraph 13 of Schedule 10 to the Finance Act 1997 (c. 16).back [2] S.I. 1993/2004, relevantly amended by S.I. 1996/1229, S.I. 1996/2643 and S.I. 1997/988.back [3] Regulation 2 was relevantly amended by regulation 3(b) and (c) of S.I. 1996/1229 and regulation 3(1) of S.I. 1996/2643.back [4] The reference is to the Double Taxation Relief (Taxes on Income) (General) (Manufactured Overseas Dividends) Regulations 1993 (S.I. 1993/1957) which were amended by S.I. 1995/1551 and S.I. 1996/2654. All these regulations are revoked by S.I. 2003/2581 with effect from 1st November 2003.back [5] Paragraph 4(3A), together with paragraph 4(3B), was inserted by section 159(5) of the Finance Act 1996.back [6] Regulation 4 was amended by regulation 4 of S.I. 1996/1229, regulation 5 of S.I. 1996/2643 and regulation 4 of S.I. 1997/988.back [7] Regulation 5 was amended by regulation 4 of S.I. 1996/1229 and regulation 6 of S.I. 1996/2643.back [8] Regulation 9A was inserted by regulation 7 of S.I. 1997/988.back [9] Regulation 10 was relevantly amended by regulation 11(b) of S.I. 1996/2643.back ISBN 0 11 047786 3 -- Back --
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