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Contents

Official guidance
Insurance Policyholder Taxation Manual

IPTM7500 · Calculation of gains on chargeable events

  • IPTM7505 · Calculation of gains: general
  • IPTM7510 · Calculation of gains: full surrender, maturity, death or whole assignment
  • IPTM7515 · Calculation of gains: full surrender, maturity, death or whole assignment: related policies
  • IPTM7520 · Full surrender, maturity, death or whole assignment: total benefit value: value of the policy or contract
  • IPTM7525 · Full surrender, maturity, death or whole assignment: total benefit value: previous sums, benefits and parts assigned
  • IPTM7530 · Full surrender, maturity, death or whole assignment: total deductions: premiums
  • IPTM7531 · Total deductions: premiums: commission arrangements
  • IPTM7535 · Full surrender: example of gain calculation
  • IPTM7540 · Deficiency relief
  • IPTM7545 · Calculation of gains on group life policies
  • IPTM7550 · Calculation of gains on capital redemption policies held by companies
  • IPTM7555 · Chargeable event gains: income tax treated as paid
  • IPTM7560 · Chargeable event gains: number of years for top-slicing relief
  1. Calculation of gains on chargeable events: contents
  2. Deficiency relief

IPTM7540 | Deficiency relief

From HM Revenue & Customs · Insurance Policyholder Taxation Manual

Where the result of a gain calculation on a final chargeable event (such as surrender, maturity or death) shows a negative figure or ‘deficiency’ and the chargeable person is an individual, a relief called deficiency relief may be available if that individual’s income is liable to tax at any of the following rates: dividend upper, higher, default higher, savings higher, Welsh higher, Scottish higher and Scottish advanced. The deficiency cannot be set off against income liable at the additional rate or the dividend additional rate.

The amount of the deficiency that is available for relief is restricted to the amount of any gains on earlier excess events and part surrender or assignment events which formed part of the total income of the same individual who is entitled to any relief.

So, no deficiency relief is available to an individual if there have been:

  • no earlier part surrenders or part assignments, or

  • earlier part surrenders and assignments but they occurred before the policy or contract was owned by the individual in question.

Insurers are not required to report deficiencies on certificates to the policyholders or HMRC. There is more on deficiency relief in IPTM3860 to IPTM3880.

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