VadeLab
StatuteIncome Tax Act 2007

Section 725 — Income Tax Act 2007: Reduction in amount charged where controlled foreign company involved

Text of the provision Official document

Reduction in amount charged where controlled foreign company involved 725 1 This section applies if—

a under Part 9A of TIOPA 2010 (controlled foreign companies), the CFC charge is charged in relation to a CFC's accounting period, b an amount of income is treated as arising to an individual under section 721 for a tax year, and c the income mentioned in section 721(2) is or includes a sum forming part of the CFC's chargeable profits for that accounting period.

2 The amount of income so treated is reduced by— S × CA CP where— S is the sum forming part of the CFC's chargeable profits for that accounting period, CA is the CFC's chargeable profits for that accounting period so far as apportioned to chargeable companies at step 3 in section 371BC(1) of TIOPA 2010 , and CP is the CFC's chargeable profits for that accounting period. 2A In a case in which section 724 applies, the reference to S in the formula in subsection (2) is to be read as a reference to X% of S. 2B “X%” is determined as follows— 100 % × A I where— A is the amount on which the individual is liable as determined under section 724(2), and I is the amount of the income mentioned in section 721(2).

3 Terms used in this section which are defined in Part 9A of TIOPA 2010 have the same meaning as in that Part.

Official source: legislation.gov.uk

There are no decisions in our collection citing this provision yet. As new judgments are published, they will appear here.

Search case law on this topic

See judgments from UK courts and tribunals with a plain-English summary and legal holding.

Explore case law →

Statutory text from an official public source. Informational content — does not replace advice from a qualified solicitor.