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Official guidance
International Manual

INTM367600 · DT applications and claims: Non-resident beneficiaries of non-resident trusts

  • INTM367610 · DT applications and claims: Non-resident beneficiaries of non-resident trusts
  • INTM367620 · DT applications and claims: Non-resident beneficiaries of non-resident trusts
  • INTM367630 · DT applications and claims: Non-resident beneficiaries of non-resident trusts
  • INTM367640 · DT applications and claims: Non-resident beneficiaries of non-resident trusts
  1. DT applications and claims: Non-resident beneficiaries of non-resident trusts
  2. DT applications and claims: Non-resident beneficiaries of non-resident trusts

INTM367620 | DT applications and claims: Non-resident beneficiaries of non-resident trusts

From HM Revenue & Customs · International Manual

Claims by non-resident beneficiaries of non-resident non-discretionary trusts

If you have a claim or an application from a non-resident beneficiary of a trust that is not discretionary you can allow relief on that beneficiary’s share of the income, subject to normal examination requirements.

Please check for any specific information about types of trust in the country specific guidance.

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