CFM98635 - Interest restriction: administration: UK group company: relevant accounting period.
TIOPA10/S490.
The corporate interest restriction computations are prepared for a worldwide groupâs period of account. However, companies are taxed by reference to accounting periods, as defined in CTA09/S9-12. A UK group companyâs accounting period will not necessarily coincide with its worldwide groupâs period of account, so it is necessary to form a link between the two. Key to this linkage is the straightforward definition of a relevant accounting period in TIOPA10/S490:
âFor the purposes of this Part a ârelevant accounting periodâ of a company, in relation to a period of account of a worldwide group, means any accounting period that falls wholly or partly within the period of account of the worldwide group.â
The guidance below sets out how amounts relating to a worldwide groupâs interest restriction or reactivation cap for a period are given effect at the level of the UK group companies for the relevant accounting periods linked to that period of account.
Conversely, in computing the groupâs aggregate tax-interest expense and aggregate tax-EBITDA, it is necessary to look at the amounts for each companyâs relevant accounting periods, leaving out of account amounts that relate to disregarded periods that do not fall within the groupâs period of account.