Market leading insight for tax experts
View online issue

Draft multinational top-up tax guidance

printer Mail

The CIOT has responded to HMRC’s consultation on draft guidance destined for a new internal guidance manual on the multinational top-up tax (MTT) and domestic top-up tax (DTT) which were introduced in Finance (No 2) Act 2023. Key observations include:

  • Although designed to cover both MTT and DTT, it should be made clear throughout the guidance when a different application of the rules applies for MTT as compared to DTT.
  • The ‘mapping’ table in para 09990, which shows how the UK legislation aligns with the OECD Model Rules is helpful, as would a reverse table, mapping the OECD Model Rules back to the UK legislation.
  • Clarification of the section on chargeability in para 06010 would be helpful, to avoid giving the impression that each entity has a separate effective tax rate calculation for DTT (rather than calculating tax on an aggregated basis before allocating to individual entities).
  •  The CIOT also highlights potential confusion around the meaning of ‘qualifying financial statements’ in F(No 2)A 2023 s 266(10).
Categories: News
EDITOR'S PICKstar
Top