INTM489625 - Diverted Profits Tax: application of Diverted Profits Tax: legislation – Finance Act 2015 – core provisions: consequences of section 80 or 81 applying
There is a distinction between the calculation of the initial estimated charge and its final determination. The initial estimated charge is calculated in accordance with section 96 and charged by a charging notice (see INTM489910 to INTM489918). The tax charged in the charging notice may not be postponed on any grounds and must be paid within 30 days of the date the notice is issued. The guidance in the following paragraphs sets out how the ultimate charge is determined. Guidance on the calculation of the initial estimated charge is at INTM489650. Guidance on other aspects of the process of issuing a charging notice is in INTM489880 of this guidance.
There are three ways in which taxable diverted profits (if any) may be determined in a case where the conditions of section 80 or 81 are met, depending on the details of the material provision and the transfer pricing treatment that has been adopted. These are covered by three sections in the legislation: 83, 84 and 85. Section 82 sets out the key expressions used in those sections. Section 83 sets out what happens where no taxable diverted profits arise, section 84 where the calculation is by reference to the actual provision and section 85 where the calculation is by reference, at least in part, to the relevant alternative provision. The terms actual provision condition and relevant alternative provision are explained below.