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Contents

Official guidance
Double Taxation Relief Manual

DT9850PP · Double Taxation Relief Manual: Ireland

  • DT9850 · Agreements in force
  • DT9852 · Outline of guidance
  • DT9853 · Income from trade
  • DT9854 · Income from an office or employment
  • DT9855 · Pensions
  • DT9856 · Other income
  • DT9857 · Interest and royalties
  • DT9858 · Bank or building society interest
  • DT9860 · Exemption or partial relief from Irish tax
  • DT9861 · Claim forms
  • DT9862 · Issue of forms to claimants
  • DT9863 · Completion of forms
  • DT9864 · Claim forms to be forwarded to UK tax office
  • DT9865 · Procedure in UK tax office
  • DT9867 · Exemption in Ireland is refused
  • DT9868 · Errors and omissions
  • DT9869 · Cessation of residence in the UK
  • DT9870 · Exemption or partial relief from UK tax
  • DT9871 · Method of granting relief
  • DT9872 · Double Taxation Relief Manual: Guidance by country: Ireland: information on residence
  • DT9873 · Claims dealt with in districts
  • DT9875 · Credit
  • DT9876 · Nationals
  • DT9877 · Changes of residence
  • DT9878 · Company residence
  • DT9879 · Source of income
  • DT9880 · Immovable property
  • DT9881 · Business profits and subcontractors
  • DT9882 · Dividends
  • DT9883 · Dividends
  • DT9885 · Double Taxation Relief Manual: Guidance by country: Ireland: capital gains
  • DT9886 · Trading in the UK through a branch or agency
  • DT9887 · Residents of the UK with gains in Ireland
  • DT9888 · Charities superannuation funds
  • DT9889 · Pension business of life assurance companies
  • DT9890 · Government remuneration and pensions
  • DT9891 · Associated companies
  • DT9892 · Pension contributions
  • DT9893 · Approved retirement fund
  • DT9895 · Ireland: Underlying Tax
  1. Double Taxation Relief Manual: Ireland: contents
  2. Double Taxation Relief Manual: Ireland: bank or building society interest

DT9858 | Double Taxation Relief Manual: Ireland: bank or building society interest

From HM Revenue & Customs · Double Taxation Relief Manual

Where interest is paid to a bank controlled in Ireland, relief is due to the payer under ICTA88/S 353 (1), subject to the normal limitations (see RE330 onwards).

It used to be the case (see below) that where the interest was paid to a bank carrying on a bona fide banking business in Ireland the payer might be requested not to deduct United Kingdom tax.

The practice of allowing some United Kingdom residents to pay interest gross to financial institutions in Ireland without requiring the institutions concerned to make claims to relief from United Kingdom tax under the double taxation agreement has been discontinued.

In the case of loans made on or after 1 May 1997, United Kingdom residents who pay interest to persons in Ireland must deduct and account for Income Tax under ICTA88/S349 (2), unless they have been authorised to do otherwise by Centre for Non-Residents, Nottingham. Residents of Ireland who receive interest from the United Kingdom may claim relief from United Kingdom tax in respect of the interest under the agreement in the usual way (DT1800).

Where gross payment of interest was made before 1 May 1997 without a claim under the agreement being made and accepted by Centre for Non-Residents, Nottingham, this may continue provided that

  • both the payer and the beneficial owner of the interest remain unchanged

  • the period of the loan is not extended

and

  • the terms of the loan are not amended in a way which will increase the interest payments.

Cases where it is not clear whether those conditions are met should be referred to the Centre for Non-Residents, Nottingham.

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