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Official guidance
Insurance Premium Tax

IPT06200 · Maintaining the IPT register: registration: contents

  • IPT06205 · Maintaining the IPT register: registration: liability to register for IPT
  • IPT06210 · Maintaining the IPT register: registration: registration thresholds for IPT
  • IPT06215 · Maintaining the IPT register: registration: when notification should be made
  • IPT06220 · Maintaining the IPT register: registration: how notification should be made
  • IPT06225 · Maintaining the IPT register: registration: registration of Lloyd's syndicates
  • IPT06230 · Maintaining the IPT register: registration: registration of overseas insurers
  • IPT06235 · Maintaining the IPT register: registration: registration of groups
  • IPT06240 · Maintaining the IPT register: registration: registration of divisions
  • IPT06245 · Maintaining the IPT register: registration: the meaning of ‘effective date of registration’
  • IPT06250 · Maintaining the IPT register: registration: rules for waiver of requirement to submit IPT returns
  • IPT06255 · Maintaining the IPT register: registration: cases of failure to register
  • IPT06260 · Maintaining the IPT register: registration: penalties for failure to register
  • IPT06265 · Maintaining the IPT register: registration: issue, receipt and processing of IPT 1 forms
  • IPT06270 · Maintaining the IPT register: registration: notification of registration numbers to traders
  1. Maintaining the IPT register: registration: contents
  2. Maintaining the IPT register: registration: registration of overseas insurers

IPT06230 | Maintaining the IPT register: registration: registration of overseas insurers

From HM Revenue & Customs · Insurance Premium Tax

All insurers who receive taxable premiums are liable to register for IPT. This applies to overseas insurers as much as to UK-based insurers, whether or not the overseas insurer has a subsidiary, branch, agency or other representation in the UK.

Prior to 21 July 2008 overseas insurers who had no presence in the UK, were required to appoint a UK-based tax representative. Not only was the representative required to deal with the insurer’s IPT affairs, they were also jointly and severally liable for any tax due. Changes made in the Budget 2008 removed this compulsory requirement.

Since 21 July 2008 overseas insurers have been able to use one of two options to deal with their IPT affairs:

  • appoint an agent; or

  • deal directly with HMRC.

There is more about the registration options for overseas insurers in IPT06300.

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