TaxSource Total

Here you can access summary of the key current tax developments in Ireland, the UK and internationally as reported by Chartered Accountants Ireland

The report of key tax developments are displayed per year, per month, by Ireland, the UK or International and by report title

Double Taxation Treaty Passport Scheme

The Double Taxation Treaty Passport Scheme for overseas corporate lenders has been updated with answers to questions commonly asked since the scheme was launched in 2010.

  • An overseas corporate lender in a country with which the UK has a double taxation treaty that includes an interest or income from a debt-claims Article, may apply for a ‘Treaty Passport’ from HMRC.
  • If a Treaty Passport is granted by HMRC, the passport holder is entered onto the publicly available register with a unique DTTP number.
  • Prospective UK resident corporate borrowers should check HMRC's online register (Register of Double Taxation Passport holders) to verify the lender's Treaty Passport holder status.
  • If the UK borrower enters into a loan agreement with a lender who is registered as a Treaty Passport holder, the lender will notify them of their passport holder status and reference number.
  • The UK borrower should then notify HMRC within 30 working days of the ‘passported’ loan. The notification should be made using form DTTP2.
  • HMRC will use the DTTP2 notification details to issue a ‘Direction’ to the UK borrower to pay the interest with Income Tax deducted at the rate set out in the relevant Double Taxation Treaty.
  • For non-Treaty Passport situations, the normal ‘certified double taxation claim’ remains the default method for applying for Double Taxation Treaty Relief.

For more information visit http://www.hmrc.gov.uk/cnr/dtt-passport-scheme.htm