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Contents

Official guidance
Investment Funds Manual

IFM13400 · Offshore Funds: participants in offshore funds: the charge to tax on disposal of an interest in a non-reporting fund

  • IFM13410 · Overview
  • IFM13412 · The charge to tax
  • IFM13414 · The charge to tax: income tax
  • IFM13416 · The charge to tax: corporation tax
  • IFM13420 · Non-resident settlements
  • IFM13425 · Effect of section 87 attribution rules on offshore income gains arising in non-resident settlement structures up to 5 April 2025
  • IFM13430 · Effect of residence / domicile of beneficiary on offshore income gains arising in non-resident settlement structures that are attributed under section 87 TCGA rules - regulation 20 up to 5 April 2025
  • IFM13432 · Allocating capital payments between offshore income gains and chargeable gains that arose in non-resident settlements until 5 April 2025- regulation 20(4)
  • IFM13434 · Example showing how a UK resident but non-UK domiciled beneficiary may not be chargeable to tax on an offshore income gain arising in a non-resident settlement prior to 6 April 2008 - paragraph 100 Schedule 7 FA 2008
  • IFM13436 · Example showing how a UK resident but non-UK domiciled beneficiary may benefit from a ‘rebasing’ election - paragraph 101 Schedule 7 FA 2008
  • IFM13438 · Example showing how a UK resident but non-UK domiciled beneficiary may not benefit from a ‘rebasing’ election - paragraph 101 Schedule 7 FA 2008
  • IFM13440 · Transfer of assets abroad
  • IFM13442 · Offshore income gains arising to certain non-resident companies
  • IFM13444 · Application of other TCGA provisions
  1. Offshore Funds: participants in offshore funds: the charge to tax on disposal of an interest in a non-reporting fund: contents
  2. Offshore Funds: participants in offshore funds: the charge to tax on disposal of an interest in a non-reporting fund: offshore income gains arising to certain non-resident companies

IFM13442 | Offshore Funds: participants in offshore funds: the charge to tax on disposal of an interest in a non-reporting fund: offshore income gains arising to certain non-resident companies

From HM Revenue & Customs · Investment Funds Manual

Regulation 24 of SI 2009/3001: Attribution of gains to members of non-resident companies equivalent to UK close companies

Section 13 TCGA applies to offshore income gains (with appropriate modifications) in the same way as it applies to capital gains.

In summary, it applies to offshore income gains arising to non-resident companies which would be close companies if they were resident in the United Kingdom.

An offshore income gain of the company is treated as an offshore income gain of a member of the company in proportion to the member’s interest as a participator in the company (provided that the member’s share of the gain is more than one quarter of the whole gain after aggregation with that of connected persons).

This regulation takes precedence over the transfer of assets abroad rules (IFM13440 - see exception 2).

More detailed guidance on the application of section 13 TCGA is provided in the Capital Gains Manual.

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