BAILII is celebrating 24 years of free online access to the law! Would you consider making a contribution?
No donation is too small. If every visitor before 31 December gives just £1, it will have a significant impact on BAILII's ability to continue providing free access to the law.
Thank you very much for your support!
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] | ||
England and Wales Court of Appeal (Civil Division) Decisions |
||
You are here: BAILII >> Databases >> England and Wales Court of Appeal (Civil Division) Decisions >> Pirelli Cable Holdings & Ors v HM Revenue & Customs [2008] EWCA Civ 70 (13 February 2008) URL: http://www.bailii.org/ew/cases/EWCA/Civ/2008/70.html Cite as: [2008] STI 276, [2008] STC 508, [2008] EWCA Civ 70, [2008] 2 CMLR 19, 79 TC 232, [2008] BTC 139, [2008] Eu LR 592 |
[New search] [Printable RTF version] [Help]
COURT OF APPEAL (CIVIL DIVISION)
ON APPEAL FROM THE HIGH COURT
CHANCERY DIVISION
MR JUSTICE RIMER
Strand, London, WC2A 2LL |
||
B e f o r e :
LORD JUSTICE JACOB
and
LORD JUSTICE MOSES
____________________
Pirelli Cable Holdings & Ors |
Appellant |
|
- and - |
||
Commissioner for HM Revenue & Customs |
Respondent |
____________________
WordWave International Limited
A Merrill Communications Company
190 Fleet Street, London EC4A 2AG
Tel No: 020 7404 1400, Fax No: 020 7831 8838
Official Shorthand Writers to the Court)
Mr David Ewart and Mr Gerry Facenna (instructed by HM Revenue & Customs) for the Respondent
Hearing dates: 22nd-23rd January 2008
____________________
Crown Copyright ©
Lord Justice Moses :
"That the case be remitted back to Mr Justice Park in the High Court of Justice Chancery Division to decide the unresolved factual question of whether, had group income election been available to the Pirelli group, the group would have elected to have the United Kingdom subsidiaries pay the dividends in question free of ACT or, instead, would have chosen that the United Kingdom subsidiaries should pay the dividends outside group income elections, thus enabling the overseas parents to receive convention tax credits and so that in assessing the amount of compensation payable to the 4th and 5th claimants [Pirelli General and Pirelli UK] the amount of the tax credit paid to their parents should be brought into account, and to order repayment of any sums already paid by the appellants to the 4th and 5th claimants …."
The Framework of the Statutory Regime and the DTAs
"14.-(1) Subject to section 247, where a company resident in the United Kingdom makes a qualifying distribution it shall be liable to pay an amount of corporation tax ('advance corporation tax') in accordance with subsection (3) below."
"231.-(1) Subject to sections 95(1)(b), 247 and 441A(b), where a company resident in the United Kingdom makes a qualifying distribution and the person receiving the distribution is another such company…….., the recipient of the distribution shall be entitled to a tax credit equal to such proportion of the amount or value of the distribution as corresponds to the rate of advance corporation tax in force for the financial year in which the distribution is made."
"… be entitled to a tax credit equal to one half of the tax credit to which an individual resident in the United Kingdom would have been entitled had he received those dividends, and to the payment of any excess of that tax credit over its liability to tax in the United Kingdom."
"(a) for relief from income tax, or from corporation tax in respect of income or chargeable gains; or …
(d) for conferring on persons not resident in the United Kingdom the right to a tax credit under section 231 in respect of qualifying distributions made to them by companies which are so resident."
"(2) So long as an election under subsection (1) above is in force the election dividends shall be excluded from sections 14(1) and 231 and are accordingly not included in references to franked payments made by the paying company or the franked investment income of the receiving company but are in the Corporation Tax Acts referred to as 'group income' of the receiving company."
Right to a Tax Credit on Payment of Mainstream Corporation Tax: the submission.
The Requirements of Community Law in relation to Economic Double Taxation of the Dividends
Lord Justice Jacob:
Lord Justice Rix: