Part 3U.K.Multinational top-up tax

Chapter 4U.K.Calculation of adjusted profits of members of a multinational group

Dealing with transparency and entities subject to qualifying dividend regimeU.K.

172Application of section 171 to members in the same territory as the ultimate parentU.K.

(1)Subsection (2) applies to a distribution of a qualifying dividend by a member of a multinational group where conditions X and Y are met.

(2)Where this subsection applies, subsections (1) and (6) of section 171 apply to the distribution made by the member as it applies to a distribution by the ultimate parent in relation to which one of conditions A to C in that section apply.

(3)Condition X is that the member—

(a)is located in the same territory as the ultimate parent,

(b)the member and the ultimate parent are subject to the same qualifying dividend regime,

(c)all of the ultimate parent’s ownership interests in the member are—

(i)direct, or

(ii)held solely through other members of the group who are located in that territory and subject to the regime.

(4)Condition Y is that—

(a)the distribution of the qualifying dividend is made—

(i)to the ultimate parent, or

(ii)to one of the members referred to in subsection (3)(c)(ii),

(b)in the case of a distribution made to the ultimate parent, the whole of the qualifying dividend is distributed by the ultimate parent and one of the conditions A to C in section 171 applies to each of the distributions made from the qualifying dividend, and

(c)in the case of a distribution made to one of the members referred to in subsection (3)(c)(ii)

(i)the whole of the dividend is distributed to the ultimate parent, or to one of the members referred to in that subsection provided the whole amount is eventually distributed to the ultimate parent via one or more further distributions to members referred to in that subsection, and

(ii)the ultimate parent distributes the whole of the dividend and one of conditions A to C in section 171 applies to each of the distributions made from the qualifying dividend.

(5)For the purposes of this section, it is to be assumed that —

(a)where the ultimate parent, or a member referred to in subsection (3)(c)(ii), has received the whole of the qualifying dividend, but has also received other distributions or has other income, any subsequent distribution by the ultimate parent or member is funded first by the qualifying dividend and then by any other amounts, and

(b)where the ultimate parent receives amounts from members referred to in subsection (3)(c)(ii), those amounts fund distributions that meet one of conditions A to C in section 171 before distributions that do not.