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Official guidance
Employment Related Securities Manual

ERSM163000 · International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015

  • ERSM163010 · Introduction
  • ERSM163020 · TCGA92/S119B
  • ERSM163030 · Unchargeable, and unremitted chargeable, foreign securities income
  • ERSM163050 · Example
  1. International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015: contents
  2. International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015: unchargeable, and unremitted chargeable, foreign securities income

ERSM163030 | International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015: unchargeable, and unremitted chargeable, foreign securities income

From HM Revenue & Customs · Employment Related Securities Manual

“Unchargeable foreign securities income” is defined in TCGA92/S119B(1A) as being unchargeable foreign securities income for the purposes of ITEPA03/S41F (taxable specific income: internationally mobile employees etc)

“Unremitted chargeable foreign securities income” is defined in TCGA92/S119B(2) as meaning income that:

  • is chargeable foreign securities income for the purposes of ITEPA03/S41F , and

  • has not been remitted to the United Kingdom by the end of the tax year in which the disposal mentioned in TCGA92/S119A(1) occurs.

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