Policy paper

Controlled foreign companies: loss restriction

This measure affects the loss relief of large UK multinational companies with overseas subsidiaries.

This was published under the 2015 to 2016 Cameron Conservative government

Documents

Controlled Foreign Companies: loss restriction

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Details

This measure stops losses and other surplus expenses from being set off against the CFC charge on the profits of controlled foreign companies (CFCs). A CFC charge arises to a UK company in relation to profits from its CFCs which have been diverted from the UK. The measure applies to profits which arise on or after 8 July 2015.

Updates to this page

Published 8 July 2015

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