The Corporation Tax Act 2010 (Part 8C) (Amendment) Regulations 2017 (S.I. 2017/364) were made on 13 March 2017 and came into force on 14 March 2017. The Regulations amend the Corporation Tax Act 2010 c. 4 provisions regarding the 45% tax on specified restitution interest payments. The regulations change the anti-avoidance provisions and exclude certain categories of claimant who, under statute, were historically either fully or partially exempt from tax on their investment income from the tax.
Related Posts
UK: HMRC clarifies electricity generator levy increase to 55% from July 2026
The UK’s HM Revenue & Customs has published a policy paper providing clarification of the increase in the Electricity Generator Levy (EGL) on 17 June 2026. As previously announced, the EGL rate will rise from 45% to 55% with effect from 1
Read MoreUK: HMRC consults draft International Controlled Transactions Schedule (ICTS)
The UK’s His Majesty's Revenue and Customs (HMRC) has launched a technical consultation regarding cross-border related party transactions on 16 June 2026, inviting views on the details of a draft International Controlled Transactions Schedule
Read MoreUK: HMRC updates anti-avoidance rule for share exchanges, reconstructions
The UK’s HMRC outlined changes to Section 137 of the Taxation of Chargeable Gains Act 1992 (TCGA) that took effect on 26 November 2025, published in the Capital Gains Manual on the Anti-avoidance rule for share exchanges and company
Read MoreUK: HMRC consults double taxation issues for UK residents in US LLCs
UK’s His Majesty's Revenue and Customs (HMRC) has initiated a consultation on 10 June 2026 regarding the measures to mitigate double taxation affecting UK-resident individuals who are members of United States limited liability companies (LLCs) and
Read MoreUK: HMRC issues guidance for agents on accessing, updating Pillar Two top-up tax information
The UK's His Majesty's Revenue and Customs (HMRC) has published guidance outlining how agents can access and amend a client's domestic top-up taxes and multinational top-up taxes (Pillar Two top-up taxes) information through its online
Read MoreAzerbaijan, UK conclude first round of new tax treaty negotiations
Azerbaijan and the UK held the first round of negotiations in London on a new convention for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income and capital gains, according to a 10 June 2026
Read More