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Contents

Official guidance
Insurance Policyholder Taxation Manual

IPTM9000 · Reporting requirements of overseas insurers

  • IPTM9010 · Overseas insurers: introduction to the reporting rules
  • IPTM9020 · Overseas insurers: scope of reporting rules: insurers affected
  • IPTM9030 · Overseas insurers: scope of reporting rules: relevant insurances and gross premiums
  • IPTM9040 · Overseas insurers: relevant insurances: residence of policyholders
  • IPTM9050 · Overseas insurers: appointment of a UK tax representative: requirements and exceptions
  • IPTM9060 · Overseas insurers: restrictions on who may be nominated to be a tax representative
  • IPTM9070 · Overseas insurers: nomination of a tax representative: approval procedure: information to be sent to HMRC
  • IPTM9080 · Overseas insurers: nomination of a tax representative: approval procedure: approval or rejection by HMRC
  • IPTM9090 · Overseas insurers: appointment of a tax representative by HMRC
  • IPTM9100 · Overseas insurers: reporting duties of a tax representative: chargeable event certificates for policyholders
  • IPTM9110 · Overseas insurers: reporting duties of a tax representative: chargeable event certificates for HMRC
  • IPTM9120 · Overseas insurers: reporting duties of tax representatives: penalties for failures to comply and audits
  • IPTM9130 · Overseas insurers: cessation of appointment and replacement of a tax representative
  • IPTM9140 · Overseas insurers: release from requirement to appoint a tax representative: procedure for agreeing to provide certain information directly
  • IPTM9150 · Overseas insurers: release from requirement to appoint a tax representative: post-5 April 2000 policies and contracts: certificates for policyholders
  • IPTM9160 · Overseas insurers: release from requirement to appoint a tax representative: post-5 April 2000 policies and contracts: certificates for HMRC
  • IPTM9170 · Overseas insurers: release from requirement to appoint a tax representative: post-5 April 2000 policies and contracts: assignments for money or money's worth
  • IPTM9180 · Overseas insurers: release from requirement to appoint a tax representative: pre-6 April 2000 policies and contracts: extent of reporting duties
  • IPTM9190 · Overseas insurers: release from requirement to appoint a tax representative: pre-6 April 2000 policies and contracts: information notices to be provided to HMRC
  • IPTM9200 · Overseas insurers: release from requirement to appoint a tax representative: other circumstances
  • IPTM9210 · Overseas insurers: arrangements for the insurer to carry out itself the full duties of a tax representative
  • IPTM9220 · Overseas insurers: reporting duties: policies not denominated in sterling
  • IPTM9230 · Overseas insurers: reporting duties: policies held on trust
  • IPTM9240 · Overseas insurers: form that may be used by an insurer for making the undertakings under regulation 12(1)(c)
  1. Reporting requirements of overseas insurers: contents
  2. Overseas insurers: appointment of a UK tax representative: requirements and exceptions

IPTM9050 | Overseas insurers: appointment of a UK tax representative: requirements and exceptions

From HM Revenue & Customs · Insurance Policyholder Taxation Manual

Requirement for a tax representative in the UK

Where the level of business with UK residents of an overseas insurer exceeds the £1 million threshold - see IPTM9020 - it is required to have a person in the UK acting as its tax representative unless it is released by HMRC from this requirement where certain conditions are met.

The overseas insurer may nominate the tax representative. HMRC also has the power to appoint a tax representative in the absence of a suitable nomination by the insurer. There is guidance on the procedure for nominating a tax representative in IPTM9070.

The main duties of a tax representative are to provide information about chargeable events and gains to policyholders and HMRC – see IPTM9100 and IPTM9110.

Release from the requirement to have a tax representative in the UK

An overseas insurer may be released from the requirement to have a UK tax representative if it:

  • agrees arrangements with HMRC to provide information about chargeable events and gains to policyholders and HMRC without appointing a tax representative - see IPTM9140 onwards, or

  • is resident in an EEA state under whose law it would be, and also was at 17 March 1998, a criminal offence for the insurer to disclose to HMRC the information about life insurance policies and policyholders required by the reporting rules in ICTA88/S552 - see IPTM9200, or

  • the level of business with UK residents ceases or reduces to a negligible level - see IPTM9200.

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