Citation, commencement and effect

1

These Regulations may be cited as the Income Tax (Manufactured Overseas Dividends) (Amendment) Regulations 2007, shall come into force on 1st October 2007, and shall have effect in relation to manufactured overseas dividends made or treated as made on or after that day.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see above.

Tax Law98 International Tax98 Overseas Elements of Income Tax98 Income Tax98

Amendment of the Income Tax (Manufactured Overseas Dividends) Regulations 1993

2

Amendment of the Income Tax (Manufactured Overseas Dividends) Regulations 19932

The Income Tax (Manufactured Overseas Dividends) Regulations 1993 are amended as follows.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Tax Law99 International Tax99 Administration & Collection of Income Tax99 Overseas Elements of Income Tax99 Income Tax99

3

3

(1)    Amend regulation 3 (prescribed rates of relevant withholding tax) as follows.

(2)    In paragraph (1) for “paragraph (4)” substitute “paragraphs (5) and (6)”.

(3)    Add the following paragraphs at the end—

“(5)    Where the recipient of the manufactured overseas dividend is a company, the reference in paragraph (1) to the highest rate is a reference to the highest rate that would have applied in relation to the overseas dividend specified in paragraph (1)(a) paid to a company which is within paragraphs (i) to (iii) of that paragraph.

(6)    Where the manufactured overseas dividend—

(a)    is paid to, or for the benefit of, a registered pension scheme (within the meaning given in Part 4 of the Finance Act 2004), or

(b)    is linked solely to pension business for the purposes of section 438 of the Taxes Act at the time that the payment is made,

the reference in paragraph (1) to the highest rate is a reference to the rate that would have been suffered by the recipient in relation to the overseas dividend of which that manufactured overseas dividend is representative.”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Savings & Investment Income92 Personal Taxes92 Tax Law92 International Tax96 Overseas Elements of Income Tax96 Income Tax92

4

4

After regulation 5 insert—

“5A Chains of payments where last payment made to, or for benefit of, registered pension scheme or is linked solely to pension business

(1)    This regulation applies where—

(a)    a person (the “original payer”) pays a manufactured overseas dividend, and

(b)    the payment is made to an approved United Kingdom intermediary or to an approved United Kingdom collecting agent as part of a chain of payments where conditions A to D are met.

(2)    Condition A is that each payment in the chain, apart from the first, is a payment by an approved United Kingdom intermediary or an approved United Kingdom collecting agent of a manufactured overseas dividend representative of the same overseas dividend.

(3)    Condition B is that the last payment in the chain—

(a)    is made to, or for the benefit of, a registered pension scheme (within the meaning given in Part 4 of the Finance Act 2004), or

(b)    is linked solely to pension business for the purposes of section 438 of the Taxes Act at the time that the payment is made.

(4)    Condition C is that the last payment in the chain is made by a person who—

(a)    is resident in the United Kingdom, or

(b)    is not resident in the United Kingdom, but makes the payment in the course of a trade carried on through a permanent establishment.

(5)    Condition D is that each recipient of payment in the chain has issued a notice to the original payer to make the payment at the applicable rate of relevant withholding tax.

(6)    The applicable rate of relevant withholding tax for each payment in the chain shall be determined in accordance with paragraphs (7) and (8).

(7)    If the last payment in the chain is made to, or for the benefit of, a registered pension scheme, the applicable rate shall be determined as if the person to whom the payment is made were the registered pension scheme to which the last payment in the chain is made.

(8)    If the last payment in the chain is linked solely to pension business at the time that the payment is made, the applicable rate shall be determined as if the person to whom the payment is made were the person to whom the last payment in the chain is made.

(9)    For the purposes of condition A (see paragraph (2)) it does not matter whether or not the first payment in the chain was made by an approved United Kingdom intermediary or an approved United Kingdom collecting agent.”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Tax Law99 International Tax99 Overseas Elements of Income Tax99 Income Tax99

5

5

In regulation 7 (disapplication of paragraph 4(3) of Schedule 23A) for paragraph (3A) substitute—

“(3A)    Paragraphs (3B) to (3D) apply where, by virtue of paragraph (1), tax is not required to be accounted for and paid in the circumstances prescribed by paragraph (2)(e).

(3B)    For the purposes of the Corporation Tax Acts, paragraph 4(4) of Schedule 23A shall apply as if the amount of tax required under section 923 of the Income Tax Act 2007 to be accounted for and paid were amount A or amount B (whichever should be the lower) and as if that amount of tax had been accounted for and paid.

(3C)    For the purposes of the Income Tax Acts, section 923 of the Income Tax Act 2007 shall apply as if the amount of tax which the recipient must account for and pay were amount A or amount B (whichever should be the lower).

(3D)    For the purposes of paragraphs (3B) and (3C)—

(a)    amount A is an amount equal to the excess of the gross amount of the overseas dividend over the amount of that overseas dividend received by the overseas dividend manufacturer, and

(b)    amount B is an amount equal to the excess of the gross amount of the overseas dividend over the amount of the manufactured overseas dividend paid by the overseas dividend manufacturer which represents that dividend.

(3E)    In paragraph (3D)(b) the reference to the manufactured overseas dividend paid by the overseas dividend manufacturer does not include any payment treated as made treated as made under—

(a)    section 736B of the Income and Corporation Taxes Act 1988 (deemed manufactured payments in the case of stock lending arrangements), or

(b)    section 737A of the Income and Corporation Taxes Act 1988 (sale and repurchase of securities: deemed manufactured payments).”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Company Law & Business Entities93 Companies & Corporate Bodies93 Overseas Elements of Income Tax99 Income Tax99 Corporation Tax99 Tax Law99 International Tax99 Administration & Collection of Income Tax93

6

6

In regulation 9 (offsetting of tax by overseas dividend manufacturers), in paragraph (4B), for “regulation 5” substitute “regulation 3(6), 5 or 5A”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Tax Law97 International Tax97 Overseas Elements of Income Tax97 Income Tax97

7

7

In regulation 9A (offsetting of tax by overseas dividend manufacturers who are not United Kingdom intermediaries), in paragraph (2A), for “regulation 5” substitute “regulation 3(6), 5 or 5A”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Tax Law97 International Tax97 Overseas Elements of Income Tax97 Income Tax97

8

8

In regulation 10 (matching of dividends and manufactured overseas dividends), in paragraph (1)(b), for “regulation 5” substitute “regulation 3(6), 5 or 5A”.

NOTES
Initial Commencement
Specified date

Specified date: 1 October 2007: see reg 1.

Tax Law97 International Tax97 Overseas Elements of Income Tax97 Income Tax97

Signature

Steve McCabe

Claire Ward

Two of the Lords Commissioners of Her Majesty's Treasury

30th August 2007

Tax Law99 International Tax99 Overseas Elements of Income Tax99 Income Tax99

EXPLANATORY NOTE

EXPLANATORY NOTE (This note is not part of the Regulations)

These Regulations amend the Income Tax (Manufactured Overseas Dividends) Regulations 1993 (SI 1993/2004) (“the principal Regulations”). Regulations 3 and 4 of these Regulations amend the principal Regulations to allow a manufactured overseas dividend (a “MOD”) to be paid without deduction of tax in circumstances where a registered pension fund would have received the real overseas dividend gross and in circumstances where the MOD is linked solely to pension business for the purposes of section 438 of the Income and Corporation Taxes Act 1988. Regulation 5 of these Regulations amends regulation 7 of the principal Regulations to restrict the amount of foreign tax which may be claimed as double taxation relief. Regulations 6 to 8 of these Regulations make consequential amendments.

A full regulatory impact assessment has not been produced for this instrument as no impact on the private or voluntary sectors is foreseen.

Pensions Law94 Personal Taxes94 Company Law & Business Entities91 Overseas Elements of Income Tax98 Companies & Corporate Bodies91 Income Tax94 Double Taxation Relief94 Pensions Taxation94 Tax Law94 Pensions Income94 International Tax98