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Determinations / International tax / CFCs / 2026
CFC 2026/03
Issued
05 Mar 2026

Non-attributing active insurance CFC status TOWER Limited

This determination provides that National Insurance Company (Holdings) Limited, Tower Insurance (Fiji) Limited and Southern Pacific Insurance Company (Fiji) Limited are non-attributing active CFCs under s EX 21B of the Income Tax Act 2007.  This means a person will have no attributed CFC income or loss from the company under sections CQ 2 and DN 2 of the Act.  This determination applies for the 2026 and 2027 income years.

Reference

This determination is made under section 91AAQ of the Tax Administration Act 1994.

Explanation (which does not form part of the determination)

A person has no attributed CFC income or loss from a CFC under sections CQ 2 and DN 2 of the Income Tax Act 2007 if the CFC is a non-attributing active CFC under section EX 21B of the Income Tax Act 2007 because the requirements of sections CQ 2(1)(h) and DN 2(1)(h) are not satisfied.

Section EX 21B(3) of the Income Tax Act 2007 provides that a CFC is a non-attributing active CFC if it is an insurer that meets the requirements of section 91AAQ of the Tax Administration Act 1994 and the Commissioner makes a determination under that section. In the absence of such a determination, a CFC carrying on an insurance business is unlikely to be a non-attributing active CFC, because an attributable CFC amount includes the CFC’s income from an insurance business or from being an insurer under s EX 20B(3)(f) of the Income Tax Act 2007.

Section 91AAQ(1)(a) of the Tax Administration Act 1994 allows a person to apply to the Commissioner for such a determination in respect of members of a group of CFCs, if the members satisfy subsection (3).  Pursuant to section 91AAQ(1)(a) and (7) of the Tax Administration Act 1994, Tower Limited has made an application to extend an earlier determination in respect of the CFC set out below.  Tower Limited has a 30 September balance date.

It has been determined, having regard to the matters set out in subsections (4) and (5) of section 91AAQ of the Tax Administration Act 1994, that the members of the group of CFCs satisfy the requirements set out in section 91AAQ(3) of the Tax Administration Act 1994 and are accordingly a non-attributing active CFCs for the purposes of section EX 21B of the Income Tax Act 2007.

Scope of the determination

The CFCs to which this determination applies is:

Name Jurisdiction
National Insurance Company (Holdings) Limited Fiji
Tower Insurance (Fiji) Limited Fiji
Southern Pacific Insurance Company (Fiji)) Limited
Fiji

Interpretation

In this document, unless the context otherwise requires –

“Attributed CFC income or loss” means attributed CFC income under section CQ 2 or attributed CFC loss under section DN 2 of the Income Tax Act 2007.

“CFC” means a “controlled foreign company” as defined in section YA 1 of the Income Tax Act 2007.

“Non-attributing active CFC” means a non-attributing active CFC under section EX 21B of the Income Tax Act 2007.

Determination

Pursuant to section 91AAQ of the Tax Administration Act 1994, I hereby determine that the above CFCs are non-attributing active CFCs for the purposes of section EX 21B of the Income Tax Act 2007.

Application date

This determination applies for the 2026 and 2027 income years.

This determination is signed by me this 5th day of March 2026.

 

Luke Schaumkell

Group Lead

Significant Enterprises