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Home / Simons-Taxes /Corporate tax /Part D4 Overseas issues /Division D4.8 Double taxation relief for companies /Taxable overseas income—double tax relief for companies / D4.810 Interaction of double tax relief with advance corporation tax
Commentary

D4.810 Interaction of double tax relief with advance corporation tax

Corporate tax

The provisions in this article apply only to companies where an election has not been made for exemption for the profits of a foreign permanent establishment (D4.801A). For details of the double tax relief provisions that generally apply see Division E6.4.

Although advance corporation tax (ACT) has been abolished for accounting periods ending after 5 April 1999, companies which have surplus ACT carried forward after this date will need to consider the

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