Heather Self, Group Tax Director with Scottish Power plc, reviews the Revenue's guidance on the motive test for CFCs, focussing particularly on the issues facing captive insurance companies
Heather Self Group Tax Director with Scottish Power plc reviews the Revenue's guidance on the motive test for CFCs focussing particularly on the issues facing captive insurance companies
Introduction
In February 2003 the Special Commissioners released their judgment in the case of Association of British Travel Agents Limited (ABTA) v CIR (Sp C 359). This was the first time that the Courts had considered the interpretation of the motive test under the 1984 Controlled Foreign Companies (CFC) legislation. Shortly afterwards the Inland Revenue published...
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Heather Self, Group Tax Director with Scottish Power plc, reviews the Revenue's guidance on the motive test for CFCs, focussing particularly on the issues facing captive insurance companies
Heather Self Group Tax Director with Scottish Power plc reviews the Revenue's guidance on the motive test for CFCs focussing particularly on the issues facing captive insurance companies
Introduction
In February 2003 the Special Commissioners released their judgment in the case of Association of British Travel Agents Limited (ABTA) v CIR (Sp C 359). This was the first time that the Courts had considered the interpretation of the motive test under the 1984 Controlled Foreign Companies (CFC) legislation. Shortly afterwards the Inland Revenue published...
If you or your firm subscribes to Taxjournal.com, please click the login box below:
If you do not subscribe but are a registered user, please enter your details in the following boxes: