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Official guidance
Capital Gains Manual

CG25300P · Capital Gains manual: individuals: effects of residence, ordinary residence and domicile: domicile and the disposal by non-domiciled individuals of assets situated abroad

  • CG25300 · Effect of residence and domicile
  • CG25302 · Individual becoming deemed domiciled for 2017/18 only under condition B - rebasing
  • CG25304 · Individual becoming deemed domiciled for 2017/18 only under condition B – rebasing examples
  • CG25312 · Using the remittance basis
  • CG25313 · Remittance basis: consequences
  • CG25320 · Remittance basis: computing the foreign chargeable gain: indexation allowance and taper relief
  • CG25325 · Remittance basis: the annual exempt amount
  • CG25330 · Remittance basis: losses: introduction
  • CG25330A · Remittance basis: election for foreign losses to be allowable: TCGA92/S16ZA
  • CG25330B · Remittance basis: no effective carry back of foreign allowable losses: TCGA92/S16ZB*
  • CG25330C · Remittance basis: matching rules for relieving losses: TCGA92/S16ZC*
  • CG25330D · Remittance basis: matching rules for relieving losses: example: Section S16ZC*** TCGA 1992
  • CG25340 · Remittance basis: meaning of remitted to the United Kingdom: introduction
  • CG25341 · Remittance basis: meaning of remitted to the United Kingdom: basic meaning: ITA07/S809L(2) & (3)
  • CG25342 · Remittance basis: meaning of remitted to the United Kingdom: gifts of money and assets: ITA07/S809L(4)
  • CG25343 · Remittance basis: meaning of remitted to the United Kingdom: other reciprocal arrangements: ITA07/S809L(5)
  • CG25344 · Remittance basis: disposals other than for full consideration: ITA07/S809T
  • CG25350 · Remittance basis: gains reinvested in non UK assets
  • CG25380 · Remittance basis: mixed funds: introduction
  • CG25385 · Remittance basis: mixed funds: ordering rules: summary
  • CG25386 · Remittance basis: mixed funds: ordering rules: details
  • CG25387 · Remittance basis: mixed funds: ordering rules: example
  • CG25391 · Remittance basis: gains to be computed in Sterling
  • CG25392 · Remittance basis: accounts denominated in foreign currencies
  • CG25392A · Remittance basis: accounts denominated in foreign currencies - restriction of certain losses
  • CG25393 · Convert at spot rate
  • CG25395 · Remittance basis: employment-related securities: option
  • CG25421 · Disposal of assets situated abroad: Example 1
  • CG25430 · Disposal of assets situated abroad: Example 2
  • CG25431 · Disposal of assets situated abroad: example 3
  • CG25311 · Becoming domiciled
  1. Capital Gains manual: individuals: effects of residence, ordinary residence and domicile: domicile and the disposal by non-domiciled individuals of assets situated abroad: contents
  2. Remittance basis: mixed funds: introduction

CG25380 | Remittance basis: mixed funds: introduction

From HM Revenue & Customs · Capital Gains Manual

Changes from 6 April 2025

The remittance basis has been abolished and new rules have been introduced from the 2025/26 tax year.

The latest guidance can be found in RFIG for Residence and RDRM for Domicile manuals.

Please note that cases which occur from 6 April 2025 onwards will be determined in accordance with the new rules.

A fund, such as a bank account, that is maintained abroad may receive deposits from a variety of different sources any of which may be subject to foreign tax. For example there may be

  • Employment income

  • Relevant foreign income (such as trade profits and investment income)

  • Foreign chargeable gains

  • Other forms of income or capital

Proceeds received from the disposal of a chargeable asset will include a return of some or all of the capital cost of the asset and may also include an element of gain. If a non-UK asset costing £500 is sold for £400, all of the proceeds represent a return of capital and the sum is not itself a mixed fund. There is no gain capable of being remitted to the UK. (For an introduction to the possible treatment of the loss, see CG25330 above.) If the sale proceeds are £650, £500 represents capital and £150 represents a gain. The proceeds arise from two sources and therefore constitute a mixed fund in their own right.

A mixed fund is defined as money or other property which contains or derives from more than one kind of income and capital, or contains or derives from income or capital for more than one tax year.

Example

Seamus (who uses the remittance basis in all years) sells some shares in Medecins de France SA in 2008-09 for €100,000 and realises a loss of £5,000. He pays the proceeds into a newly-opened French bank account. The account is not a mixed fund because it contains only capital. He does not make any withdrawals from the account.

In 2010-11 Seamus sells more shares in Medecins de France SA for €170,000 and realises a gain of £12,000. He pays the proceeds into the same bank account. The account is now a mixed fund because the money in it derives both from capital and from foreign chargeable gains.

The account now contains €270,000 and in 2011-12 Seamus brings €135,000 into the United Kingdom. The question arises of how much of his foreign chargeable gain has been remitted.

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