This article is not a comprehensive overview of the Corporate Interest Restriction (CIR) rules but it does cover some of the basic principles as well as the practical implications of related party guarantees and an associated issue which arises in relation to withholding tax.
The CIR is becoming more of an issue for smaller privately owned UK groups for a number of reasons: interest rates are going up so the £2m de minimis interest expense is frequently exceeded; debt continues to be readily available and many family offices have an...
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This article is not a comprehensive overview of the Corporate Interest Restriction (CIR) rules but it does cover some of the basic principles as well as the practical implications of related party guarantees and an associated issue which arises in relation to withholding tax.
The CIR is becoming more of an issue for smaller privately owned UK groups for a number of reasons: interest rates are going up so the £2m de minimis interest expense is frequently exceeded; debt continues to be readily available and many family offices have an...
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: