In most cases, the short answer is 'no'.
The Directors' Loan Charge falls under UK corporation tax legislation and therefore does not apply to non-resident companies. The crucial distinction lies in the residency status of these companies, as foreign companies can still be liable for UK corporation tax. However, this doesn't imply that overdawn directors' loans in overseas companies are exempt from scrutiny, as international tax laws and Double Tax Treaties also play a significant role.
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