Statutory Instruments
2015 No. 662
Corporation Tax
The Tax Treatment of Financing Costs and Income (Change of Accounting Standards: Investment Entities) Regulations 2015
Made
11th March 2015
Laid before the House of Commons
12th March 2015
Coming into force
2nd April 2015
The Treasury make the following Regulations in exercise of the powers conferred by section 353AA of the Taxation (International and Other Provisions) Act 2010( 1 ).
Citation, commencement and effect
1. —(1) These Regulations may be cited as the Tax Treatment of Financing Costs and Income (Change of Accounting Standards: Investment Entities) Regulations 2015 and come into force on 2nd April 2015.
(2) These Regulations have effect in relation to—
(a) any accounting period beginning on or after that date, and
(b) any accounting period which begins before that date, or part of such an accounting period, which coincides with a period of account or part of a period of account for which a company adopts a relevant accounting change resulting from a change in accounting standards.
(3) For the purposes of paragraph (2)(b), “change in accounting standards” means—
(a) in relation to a company which draws up its financial statements in accordance with international accounting standards, the amendments to paragraph 31 of International Financial Reporting Standard 10 issued by the International Accounting Standards Board on 31th October 2012, and
(b) in relation to a company which draws up its financial statements in accordance with UK generally accepted accounting practice, the issue of paragraph 9.9 of Financial Reporting Standard 102 by the Financial Reporting Council on 13th March 2013.
Amendment to Part 7 of the Taxation (International and Other Provisions) Act 2010
2. —(1)Part 7 of the Taxation (International and Other Provisions) Act 2010 (tax treatment of financing costs and income) is amended as follows.
(2) After section 332A( 2 ) insert—
“ 332AA Change of accounting standards: investment entities
(1) The available amount for a period of account of the worldwide group is treated as increased by an amount equal to any amount that falls within subsection (2).
(2) An amount falls within this subsection if—
(a) it is an expense that—
(i) is a financing expense amount of a UK group company that is taken into account in calculating the tested expense amount or the tested income amount for the period of account of the worldwide group, or
(ii) arises in the period of account to a member of the worldwide group that is not a UK group company; and
(b) the expense referred to in paragraph (a) would be taken into account in calculating the available amount for the period but for the operation of paragraph 31 of International Financial Reporting Standard 10 or paragraph 9.9 of Financial Reporting Standard 102. ”
(3) In section 346 (financial statements of the worldwide group) after subsection (2) insert—
“ (2A) But, where the effect of the operation of paragraph 31 of International Financial Reporting Standard 10 or paragraph 9.9 of Financial Reporting Standard 102 is that no consolidated financial statements are prepared, references to financial statements of the worldwide group are to the financial statements of the ultimate parent. ”
(4) In section 348 (non-existent financial statements of the worldwide group) after subsection (5) insert—
“ (5A) But, where the effect of the operation of paragraph 31 of International Financial Reporting Standard 10 is that financial statements of the group for a period drawn up in accordance with international accounting standards would not be consolidated financial statements, references in this section to IAS financial statements of the worldwide group for that period are to the financial statements of the ultimate parent drawn up in accordance with international accounting standards. ”
Mark Lancaster
Harriett Baldwin
Two of the Lords Commissioners of Her Majesty’s Treasury
11th March 2015