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Official guidance
Capital Gains Manual

CG26500P · Capital Gains manual: individuals: effects of residence and domicile for departures on or after 6 April 2013 and general rules from 6 April 2013

  • CG26500 · Arrival in and departure from UK: meaning of ‘temporary non-residence’ - year of departure 2013-14 or later
  • CG26505 · Arrival in and departure from UK: importance of establishing the correct ‘year of departure’ 2013-14 or later
  • CG26506 · Arrival in and departure from UK: importance of establishing the correct ‘year of departure’ 2013-14 or later - overlap between definitions
  • CG26510 · Arrival in and departure from UK: temporary non-residence: gains or losses excluded from TCGA92/S10A* - year of departure 2013-14 or later
  • CG26520 · Arrival in and departure from UK: temporary non-residence: layout of guidance - year of departure 2013-14 or later
  • CG26530 · Arrival in and departure from UK: temporary non-residence: persons within the scope of TCGA92/S10A* - year of departure 2013-14 or later
  • CG26540 · Arrival in and departure from UK: temporary non-residence: meaning of terms - year of departure 2013-14 or later
  • CG26550 · Arrival in and departure from UK: temporary non-residence: main conditions for TCGA92/S10A* to apply - year of departure 2013-14 or later
  • CG26560 · Arrival in and departure from UK: temporary non-residence: practical questions - year of departure 2013-14 or later
  • CG26565 · Arrival in and departure from UK: temporary non-residence: section 10A* example 1 - year of departure 2013-14 or later
  • CG26568 · Arrival in and departure from UK: temporary non-residence: section 10A* example 2 - year of departure 2013-14 or later
  • CG26570 · Arrival in and departure from UK: temporary non-residence: gains of non-resident companies and settlements - year of departure 2013-14 or later
  • CG26580 · Arrival in and departure from UK: temporary non-residence: losses attributed to participators in non-resident companies - year of departure 2013-14 or later
  • CG26590 · Arrival in and departure from UK: temporary non-residence: attribution of gains to settlor - year of departure 2013-14 or later
  • CG26600 · Arrival in and departure from UK: temporary non-residence: gains or losses excluded from scope of section 10A* - year of departure 2013-14 or later
  • CG26610 · Arrival in and departure from UK: temporary non-residence: exceptions to the exclusion from section 10A* - year of departure 2013-14
  • CG26620 · Arrival in and departure from UK: temporary non-residence: exceptions to the exclusion from section 10A*: example - year of departure 2013-14 or later
  • CG26630 · Arrival in and departure from UK: temporary non-residence: held-over gains - year of departure 2013-14 and later
  • CG26640 · Arrival in and departure from UK: temporary non-residence: trade conducted in UK through branch or agency - year of departure 2013-14 or later
  • CG26650 · Operation of S10A* for Non-UK Domiciled individuals - No claim to Remittance Basis - year of departure 2013-14 or later
  • CG26660 · Operation of S10A* for Non-UK Domiciled individuals - Remittance Basis claimed - year of departure 2013-14 or later
  • CG26665 · Operation of S10A for Non-UK Domiciled individuals - Remittance Basis - year of departure from 2013-14 but departure before 8 July 2015
  • CG26670 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - Effect on residence periods- year of departure 2013-14 or later
  • CG26680 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - impact on length of period of temporary non-residence- year of departure 2013-14 or later
  • CG26690 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - impact on period of temporary non residence- leaving the UK examples - year of departure 2013-14 or later
  • CG26695 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - impact on period of temporary non residence- returning to the UK examples - year of departure 2013-14 or later
  • CG26700 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - is gain within s10A*- year of departure 2013-14 or later
  • CG26710 · Arrival in and departure from UK: temporary non-residence: interaction with DTA’s - credit for foreign tax paid- 2013-14 and later years
  • CG26800 · Arrival in and departure from UK: temporary non-residence: Transitional rules for year of departure 2013-14 to 2015-16
  • CG26810 · Individuals: effects of residence and domicile for departures on or after 6 April 2013 and general rules from 6 April 2013: arrival in and departure from UK: temporary non-residence: interaction with NRCGT
  1. Capital Gains manual: individuals: effects of residence and domicile for departures on or after 6 April 2013 and general rules from 6 April 2013: contents
  2. Arrival in and departure from UK: temporary non-residence: meaning of terms - year of departure 2013-14 or later

CG26540 | Arrival in and departure from UK: temporary non-residence: meaning of terms - year of departure 2013-14 or later

From HM Revenue & Customs · Capital Gains Manual

Period A - This is the last residence period for which the individual had sole UK residence, immediately preceding a residence period for which the individual does not have sole UK residence.

Period of return - This is the first residence period after period A for which the individual has sole UK residence.

Resident - The term resident referred to in TCGA92/S10A* and elsewhere in the TCGA for 2013-14 and later years, is defined for Capital Gains Tax purposes in accordance the Statutory Residence Test.

Residence period - This is a tax year which is not a split year, or if it is a split year the overseas part or the UK part of that split year.

Sole UK residence - A person has sole UK residence for a residence period that consists of an entire tax year provided there is no time in that year when the individual is Treaty non resident. A person also has sole UK residence for the UK part of a split year provided there is no time in that part of the year when the person is Treaty non resident.

Split-year - A split year is a tax year that can be split under the Statutory Residence Test rules into a UK part of a split year and an overseas part of a split year.

Temporarily non-resident - This applies to an individual who:

  1. has sole UK residence for a residence period

  2. immediately following that period, one or more residence periods for which he/she does not have sole UK residence

  3. For at least 4 out of the 7 tax years immediately preceding the year of departure, the relevant year for the individual was either:

    1. a tax year of sole UK residence

  4. a split year that included a residence period for which he/she had sole UK residence and

the period of temporary non-residence is 5 years or less.

For the purpose of the 4 out of 7 year test, where a year falling within the 7 year period is 2012-13 or an earlier year then the test is modified slightly. A year would be regarded as one of the 4 years where:

  1. the individual was resident in the UK for the year and

  2. there was no time in that year when the individual was treaty non-resident.

Period of temporary non-residence - This is the period between the end of period A and the start of the next residence period after period A for which the individual has sole UK residence.

Treaty non resident - An individual is treaty non resident if at that time the person falls to be regarded as resident in a country outside the UK for the purposes of the Double Taxation arrangements having effect at that time.

Year of departure - This is the tax year consisting of or including Period A.

Additional guidance on these terms can be found within the RDR3 Guidance Note: Statutory Residence Test (SRT).

*This provision was re-written for disposals from 6 April 2019 see CG10150.

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