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Official guidance
Employment Income Manual

EIM42800 · Residence and domicile

  • EIM42802 · Meaning of resident in the United Kingdom
  • EIM42804 · Meaning of domicile: claim to be not domiciled
  • EIM42806 · Claims to be not domiciled in the United Kingdom: action on receipt of claim
  • EIM42810 · Residence or employment in the United Kingdom
  • EIM42820 · Residence or employment in the United Kingdom
  • EIM42830 · Residence or employment in the United Kingdom: husband and wife
  • EIM42840 · Residence or employment in the United Kingdom
  • EIM42850 · Residence or employment in the United Kingdom:
  • EIM42860 · Residence or employment in the United Kingdom: employees resident and not resident in the same tax year
  • EIM42880 · Residence or employment in the United Kingdom: advice from BAI, Personal Tax International
  • EIM42890 · Residence: taxpayer coming to the United Kingdom: issue of form P86
  • EIM42900 · Residence: taxpayer coming to the United Kingdom: action on receipt of completed P86: year of arrival
  • EIM42910 · Residence: taxpayer coming to the United Kingdom: taxpayer’s residence status in the United Kingdom from the date of arrival
  • EIM42920 · Residence: taxpayer leaving the United Kingdom: Claim to repayment on cessation of residence in the United Kingdom
  • EIM42930 · Residence: taxpayer leaving the United Kingdom: form P85(S)
  • EIM42940 · Residence: taxpayers leaving the United Kingdom: when to issue form P85
  • EIM42950 · Residence: taxpayers leaving the United Kingdom: P85 and P85(S) procedure
  • EIM43000 · Residence or employment in the Irish Republic
  1. Residence and domicile: contents
  2. Meaning of resident in the United Kingdom

EIM42802 | Meaning of resident in the United Kingdom

From HM Revenue & Customs · Employment Income Manual

Part 2 Chapters 4 and 5 ITEPA 2003

Guidance on the meaning of resident in the United Kingdom can be found in:

  • the Residence and FIG Regime Manual (RFIG)

  • CT3365 onwards for companies.

The existence in the United Kingdom of a branch or agency of an overseas concern does not of itself make the overseas concern resident in the United Kingdom even if the profits of the branch or agency are chargeable to United Kingdom tax. Therefore employees who:

  • are employees of a concern resident outside and not resident in the United Kingdom and

  • are sent to work at a United Kingdom branch of that concern

will be employed by a foreign employer (see EIM40031).

Similarly, employees of an overseas government who work at an embassy or High Commissioner's office, etc. in the United Kingdom will be employed by a foreign employer.

  • See RE2250 onwards concerning diplomatic privilege.

  • See INTM153210 concerning the exemption under a double taxation agreement of governmental remuneration.

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