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Official guidance
Capital Gains Manual

CG38570C · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87

  • CG38570 · Charge on beneficiary of a non-resident - administration
  • CG38575 · Charge on beneficiary of a non-resident settlement - outline
  • CG38580 · Settlement - TCGA92/S87
  • CG38585 · Settlor - TCGA92/S87
  • CG38590 · Trustees - TCGA92/S87
  • CG38595 · Dual resident settlements - TCGA92/S87
  • CG38600 · Migrating settlements - TCGA92/S87
  • CG38605 · Beneficiary - TCGA92/S87
  • CG38610 · Trustees’ gains - section 2(2)* amount
  • CG38615 · Trustees' gains - TCGA92/S13*
  • CG38620 · Trustees' gains - offshore income gains
  • CG38623 · Trustee’s’ gains – carried interest
  • CG38625P · Capital Payments
  • CG38700P · Matching capital payments
  • CG38730P · Years before 2008-09
  • CG38780 · Charities
  • CG38785 · The charge to Capital Gains Tax
  • CG38790 · Double Taxation Relief
  • CG38795 · Increase in the rate of Capital Gains Tax - TCGA92/S87
  • CG38800 · Increase in rate of Capital Gains Tax: example
  • CG38805P · Non-UK domiciled beneficiaries - remittance basis
  • CG38845P · Paragraph 126 elections - 'rebasing'
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87: contents
  2. Charge on beneficiary of a non-resident - administration

CG38570 | Charge on beneficiary of a non-resident - administration

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S87 applies if a beneficiary of a non-resident settlement receives a capital payment from the trustees of that settlement. It treats the beneficiary as receiving a proportion of the trustees’ gains, a process commonly called attributing the gains. Any gains attributable to the settlor under TCGA92/S86, CG38435, are not included in the trustees’ gains attributable to the beneficiaries under section 87.

Liability under section 87 is dealt with WMBC Assets Edinburgh and other specialist compliance offices. Please do not enter into any correspondence on these cases without contacting WMBC Assets Edinburgh. If technical advice is needed or litigation proceedings are possible refer to HMRC Capital Gains Technical.

The HMRC website asks people creating non-resident settlements to contact HMRC Trusts & Estates Non Resident Trusts. The details of how to contact us can be found at:

https://www.gov.uk/topic/personal-tax/trusts

https://www.gov.uk/government/organisations/hm-revenue-customs/contact/trusts

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