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Contents

Official guidance
International Manual

INTM331010 · Double Taxation applications and claims: repayment claims by non-residents

  • INTM331011 · Double Taxation applications and claims: Repayment claims from non-residents: Introduction and background
  • INTM331012 · Double Taxation applications and claims: Repayment claims from non-residents: Where do I find out more?
  • INTM331013 · Double Taxation applications and claims: Repayment claims from non-residents: What claims are covered by the rules?
  • INTM331014 · Double Taxation applications and claims: Repayment claims from non-residents: The key features
  • INTM331015 · Double Taxation applications and claims: Repayment claims from non-residents: The key stages with legislative references
  • INTM331016 · Double Taxation applications and claims: Repayment claims from non-residents: Process now - check later
  • INTM331017 · Double Taxation applications and claims: Repayment claims from non-residents: Amendments of claims - corrections
  • INTM331018 · Double Taxation applications and claims: Repayment claims from non-residents: Giving effect to claims and amendments
  • INTM331019 · Double Taxation applications and claims: Repayment claims from non-residents: Power to enquire into claims
  • INTM331020 · Double Taxation applications and claims: Repayment claims from non-residents: Power to call for documents for purposes of enquiries
  • INTM331021 · Double Taxation applications and claims: Repayment claims from non-residents: Completion of enquiry into claim
  • INTM331022 · Double Taxation applications and claims: Repayment claims from non-residents: Giving effect to amendments following an enquiry
  • INTM331023 · Double Taxation applications and claims: Repayment claims from non-residents: Appeals against amendments following an enquiry
  • INTM331024 · Double Taxation applications and claims: Repayment claims from non-residents: What about applications for relief at source?
  • INTM331025 · Double Taxation applications and claims: Repayment claims from non-residents: Combined applications and claims for repayment
  • INTM331027 · Double Taxation applications and claims: Repayment claims from non-residents: Claim on an old form
  • INTM331028 · Double Taxation applications and claims: Repayment claims from non-residents: Time limit for making claims
  • INTM331029 · Double Taxation applications and claims: Repayment claims from non-residents: Tax certificates
  • INTM331030 · Double Taxation applications and claims: Repayment claims from non-residents: Letters
  • INTM331031 · Double Taxation applications and claims: Repayment claims from non-residents: Table of letters for repayment claims
  • INTM331032 · Double Taxation applications and claims: Repayment claims by non-residents: Questionnaires
  • INTM331033 · Difficult points/Points not specifically covered
  1. Double Taxation applications and claims: repayment claims by non-residents: contents
  2. Double Taxation applications and claims: Repayment claims from non-residents: What about applications for relief at source?

INTM331024 | Double Taxation applications and claims: Repayment claims from non-residents: What about applications for relief at source?

From HM Revenue & Customs · International Manual

Applications for relief at source under the terms of a double taxation treaty are not considered to be subject to the provisions of TMA70/SCH1A. They are not claims within the self assessment (SA) rules but rather applications for a “direction”, also referred to as a relief at source authority or an exemption, to be issued to the payer of the income, so that future payments of the income will be either

  • exempt from UK income tax, or

  • taxed in the UK at the “treaty rate”, that is at a rate lower than the savings rate or the basic rate, as appropriate,

depending on the terms of the particular double taxation treaty.

It follows that where you have an application for relief at source the SA rules and procedures do not apply. If we need some information about an application for relief at source we will write to the claimant or the claimant’s tax adviser if there is one to ask for the information we require. We will do so without having to issue any formal notice.

PAYE Pensions

Remember that, as mentioned in INTM331011 and the following two paragraphs, double taxation claims for exemption from UK income tax on pensions paid under PAYE are subject to the Self Assessment rules.

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