Fixed-ratio method: Difference between revisions
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imported>Doug Williamson (Amend to 'profits'.) |
imported>Doug Williamson (Update post-CIR implementation in UK.) |
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''Tax''. | ''Tax - anti-avoidance''. | ||
The fixed ratio method is a mechanism to limit corporate tax relief for interest and amounts economically equivalent to interest. | |||
It limits the amounts eligible for relief to a percentage of a taxpayer's profits. | |||
Under the UK's Corporate Interest Restriction, with effect from April 2017: | |||
*The fixed ratio for a large worldwide group is 30% | |||
*The measure of profits the group's aggregate tax-EBITDA | |||
==See also== | ==See also== | ||
* [[Common Consolidated Corporate Tax Base]] | * [[Common Consolidated Corporate Tax Base]] | ||
* [[Corporate Interest Restriction]] | |||
* [[Corporation Tax]] | * [[Corporation Tax]] | ||
* [[ | * [[Debt cap]] | ||
* [[EBITDA]] | |||
* [[Group]] | |||
* [[Tax avoidance]] | |||
* [[Worldwide interest cap]] | * [[Worldwide interest cap]] | ||
Revision as of 06:48, 2 May 2018
Tax - anti-avoidance.
The fixed ratio method is a mechanism to limit corporate tax relief for interest and amounts economically equivalent to interest.
It limits the amounts eligible for relief to a percentage of a taxpayer's profits.
Under the UK's Corporate Interest Restriction, with effect from April 2017:
- The fixed ratio for a large worldwide group is 30%
- The measure of profits the group's aggregate tax-EBITDA