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Official guidance
Capital Gains Manual

CG38625P · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87: Capital Payments

  • CG38625 · Capital payments - TCGA92/S87
  • CG38630 · Capital payments - non-cash payments
  • CG38635 · Capital payments - absolute entitlement
  • CG38640 · Capital payments - valuation of benefits and non-cash payments
  • CG38645 · Capital payments - loans – up to 5 April 2017
  • CG38650 · Capital payments - non-payment of interest – up to 5 April 2017
  • CG38654 · Capital payments – loans – from 6 April 2017
  • CG38660 · Capital payments - accommodation – to 5 April 2017
  • CG38662 · Capital payments – making land available – from 6 April 2017
  • CG38664 · Capital payments – making available moveable property – from 6 April 2017
  • CG38665 · Capital Payments - Meaning of capital payment - "received from trustees"
  • CG38670 · Trusts and Capital Gains Tax: non-resident trusts: charge on beneficiary of non-resident settlement – s87 TCGA 1992: capital payments: "received from the trustees" - case law
  • CG38675 · Capital payment by close company controlled by trustees - TCGA92/S87
  • CG38680 · Capital payment to non-resident close company controlled by UK residents
  • CG38685 · Capital payment to non-resident close company not controlled by UK resident persons
  • CG38690 · Close companies - definition of control and Extra-Statutory Concession D40
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87: Capital Payments: contents
  2. Capital Payments - Meaning of capital payment - "received from trustees"

CG38665 | Capital Payments - Meaning of capital payment - "received from trustees"

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S97(5)

The test in TCGA/S87(2) is that chargeable gains accrue to “a beneficiary … who has received a capital payment from the trustees”. TCGA92/S97(5) identifies when this test is satisfied. A beneficiary is regarded as receiving a capital payment from the trustees if:

  • the beneficiary receives it from them directly or indirectly, TCGA92/S97(5)(a)

  • the payment is directly or indirectly applied in paying off a beneficiary’s debt or is otherwise paid or applied for the beneficiary’s benefit, TCGA92/S97(5)(b)

  • it is received by a third party at the beneficiary’s direction, TCGA92/S97(5)(c).

TCGA92/S97(5)(a) applies to the simplest case which is a direct payment from the trustees. The question whether a capital payment has been received from the trustees indirectly has been considered in a number of avoidance cases especially in the context of transfers to another settlement. See CG38670.

TCGA92/S97(5)(b) applies if the trustees make a payment either to discharge a debt owing by the beneficiary or to a third party in consideration for the provision of some service or benefit to the beneficiary. This is also considered in CG38670. See the comment on Burton v HMRC.

TCGA92/S97(5)(c) applies if the beneficiary directs the trustees to make the payment to a third party. There is no express requirement that the third party applies the payment for the beneficiary’s benefit. But it is very likely that the trustees will be satisfied this will happen in order to meet the requirements of trust law.

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