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Official guidance
Investment Funds Manual

IFM13450 · Offshore Funds: investors in non-reporting funds: exceptions to the charge to tax

  • IFM13452 · General
  • IFM13454 · Interests treated as loan relationships
  • IFM13456 · Interests treated as derivative contracts
  • IFM13458 · Intangible fixed assets
  • IFM13460 · Excluded indexed securities
  • IFM13462 · Rights arising under a policy of insurance
  • IFM13464 · Trading stock
  • IFM13466 · Long-term insurance funds
  • IFM13468 · Non-participating loans
  • IFM13470 · Interests in certain transparent funds
  • IFM13472 · Rights in certain existing holdings
  • IFM13474 · Charitable companies & charitable trusts
  • IFM13476 · Registered pension schemes
  • IFM13478 · Unlisted trading company exception
  1. Offshore Funds: investors in non-reporting funds: exceptions to the charge to tax: contents
  2. Offshore Funds: investors in non-reporting funds: exceptions to the charge to tax: registered pension schemes

IFM13476 | Offshore Funds: investors in non-reporting funds: exceptions to the charge to tax: registered pension schemes

From HM Revenue & Customs · Investment Funds Manual

Section 186 Finance Act 2004

If a UK registered pension scheme (within the meaning of section 153 FA 2004) disposes of an interest in a non-reporting fund, any gain arising will be exempt from the charge to tax under regulation 17.

Similarly, S186(1)(a) Finance Act 2004 would have the effect that an offshore income gain would not be chargeable on a pension fund if it were attributed under regulation 24 (see IFM13422).

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