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Official guidance
Capital Gains Manual

CG10900P · Introduction and computation: persons chargeable: effects of residence, ordinary residence and domicile

  • CG10900 · Effects of residence/domicile: introduction and layout of instructions
  • CG10910 · Effects of residence/domicile: meaning of terms
  • CG10918 · Effects of residence/domicile: residence etc: individuals - for years up to and including 2012-13
  • CG10919 · Effects of residence/domicile: residence etc: individuals - years from 2013-14
  • CG10921 · Effects of residence/domicile: residence etc: losses
  • CG10930 · Effects of residence/domicile: domicile: section 12 TCGA 1992
  • CG10950 · Effects of residence/domicile: residence etc: companies
  • CG10960 · Effects of residence/domicile: residence etc: settlements
  • CG10970 · Effects of residence/domicile: persons changing residence status
  • CG10972 · Effects of residence/domicile: change of residence: ESC D2 - for years up to and including 2012-13
  • CG10974 · Effects of residence/domicile: arrivals during a tax year - for years up to and including 2012-13
  • CG10976 · Effects of residence/domicile: departures during a tax year - for years up to and including 2012-13
  • CG10978 · Effects of residence/domicile: arrivals and departures during a tax year - split year treatment for years from 2013-14
  • CG10980 · Effects of residence/domicile: settlements
  • CG11000 · Effects of residence/domicile: partnerships
  • CG11020 · Effects of residence/domicile: gains arising to non-resident companies: section 13 TCGA 1992
  • CG11030 · Effects of residence/domicile: gains arising to non-resident settlements
  • CG11040 · Effects of residence/domicile: exemption: double taxation agreements
  1. Introduction and computation: persons chargeable: effects of residence, ordinary residence and domicile: contents
  2. Effects of residence/domicile: residence etc: settlements

CG10960 | Effects of residence/domicile: residence etc: settlements

From HM Revenue & Customs · Capital Gains Manual

The trustees of a settlement are within the charge to Capital Gains Tax if they are resident and ordinarily resident* in the UK at any time, see CG10980, in a year of assessment.

For years up to and including 2006-07 trustees are treated as being resident and ordinarily resident in the UK unless:

  • the general administration of the trust is ordinarily carried on outside the UK and

  • a majority of the trustees are at the time not resident or not ordinarily resident in the UK: TCGA92/S69(1) before its amendment by FA 2006.

See the guidance in CG33370+.

For the year 2007-08 onwards the residence status of trustees for CGT purposes is decided according to the same rules that apply to income tax. See CG33405 and the guidance at TSEM1461.

If a settlement has a body of trustees that is treated as not resident and not ordinarily resident* in the UK but, exceptionally, the trustees carry on a trade in the UK through a branch or agency, the settlement would be within the charge to Capital Gains Tax in respect of gains and losses on assets relating to that activity (TCGA92/S10). For further details see CG13550. In addition for non-resident settlements for disposals from 6 April 2015 see the guidance from CG73700 for disposals of interests in UK residential property and for disposals from 6 April 2019 see the guidance from CG73920 for direct and indirect disposals of interests in UK real property.

A Statutory Residence Test for individuals was introduced for years from 6/4/2013.

* For 2013/14 and later years, ordinary residence no longer needs to be considered. Guidance on the Statutory Residence Test can be found in the RDR3 Guidance Note: Statutory Residence Test (SRT).

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