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Contents

Official guidance
Insurance Policyholder Taxation Manual

IPTM4000 · Purchased life annuities

  • IPTM4100 · Introduction
  • IPTM4200 · Different types of annuity: annuities certain
  • IPTM4210 · Different types of annuity: guaranteed and temporary annuities
  • IPTM4220 · Different types of annuity: life annuities and purchased life annuities
  • IPTM4300 · Charge to tax and partial exemption scheme: general
  • IPTM4310 · Partial exemption scheme: effect of life and other contingencies on term of annuity and on amount of annuity payments
  • IPTM4320 · Partial exemption scheme: exempt proportion formula
  • IPTM4330 · Partial exemption scheme: exempt sum formula
  • IPTM4340 · Partial exemption scheme: consideration
  • IPTM4350 · Partial exemption scheme: procedure
  • IPTM4351 · Partial exemption scheme: procedure: annuitant fails to return the form PLA6
  • IPTM4360 · Partial exemption scheme: procedure relating to part C of form PLA6
  • IPTM4370 · Record-keeping requirements and provision of information to HMRC
  • IPTM4380 · Penalties for failure to comply
  • IPTM4400 · Annuities paid by overseas payers: introduction
  • IPTM4410 · Overseas payers: appointment of a tax representative: requirements and exceptions
  • IPTM4420 · Overseas payers: restrictions on who may be nominated to be a tax representative
  • IPTM4430 · Non UK insurers: nomination of a tax representative: approval procedure: information to be sent to HMRC
  • IPTM4440 · Non UK insurers: nomination of a tax representative: approval procedure: approval or rejection by HMRC
  • IPTM4450 · Non-UK insurers: appointment of a tax representative by HMRC
  • IPTM4460 · Non-UK insurers: duties of a tax representative
  • IPTM4470 · Non-UK insurers: cessation of appointment and replacement of a tax representative
  • IPTM4480 · Non-Uk insurers: release from requirement to appoint a tax representative: procedure for agreeing release with HMRC
  • IPTM4490 · Non-UK insurers: release from requirement to appoint a tax representative: other circumstances
  • IPTM4500 · Non-UK insurers: release from requirement to appoint a tax representative: declaration by insurer that it will conduct life and annuity business in accordance with UK law
  • IPTM4600 · Special types of annuity
  1. Purchased life annuities: contents
  2. Purchased life annuities: non-UK insurers: cessation of appointment and replacement of a tax representative

IPTM4470 | Purchased life annuities: non-UK insurers: cessation of appointment and replacement of a tax representative

From HM Revenue & Customs · Insurance Policyholder Taxation Manual

Termination of appointment by the insurer

A non-UK insurer is entitled to replace its tax representative at any time. If it wishes to do so, it must inform HMRC by writing to BAI Financial Services Team at the contact address given in IPTM4430. The existing tax representative will not cease to be responsible until the insurer has nominated a replacement and that replacement has been approved by HMRC.

Resignation of a tax representative

A tax representative is also entitled to resign unless it was appointed by HMRC as described in IPTM4450. Notice of resignation should be given to HMRC and the non-UK insurer in writing. The non-UK insurer must then nominate a replacement tax representative within three months. The existing representative must remain acting until HMRC has approved the appointment of a replacement.

Cessation of appointment due to death, bankruptcy, dissolution or winding-up

If the tax representative is an individual, then the appointment will cease automatically if he or she dies or becomes bankrupt. If the tax representative is a company or partnership, then the appointment will cease if the company or partnership is dissolved or wound-up. If either of these occurs the non-UK insurer must nominate a replacement tax representative or apply to be released from the requirement to nominate a replacement tax representative within three months.

Termination by HMRC of the appointment of a tax representative

HMRC are also entitled to terminate the appointment of a tax representative and require the insurer to nominate another person as a replacement tax representative. HMRC may do this if

  • the tax representative no longer meets the conditions described in IPTM4420, for instance, where it is a company that no longer has a UK business establishment, or

  • HMRC has reason to believe that the representative

    • cannot or will not carry out its duties properly, or

    • has failed to carry out its duties properly.

The insurer may then either nominate a replacement tax representative within three months, or appeal against the decision to terminate the appointment. They may also ask HMRC to review the decision. The existing representative must remain acting until HMRC has approved the appointment of a replacement. The insurer may also apply to HMRC to be released from the requirement to nominate a tax representative.

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