Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Investment Funds Manual

IFM13500 · Offshore Funds: investors in non-reporting funds: computation of offshore income gain

  • IFM13510 · Introduction
  • IFM13520 · The basic gain
  • IFM13530 · Previous no gain / no loss disposals
  • IFM13540 · Modification of chargeable gains legislation
  • IFM13550 · Losses
  • IFM13560 · Certain existing holdings
  1. Offshore Funds: investors in non-reporting funds: computation of offshore income gain: contents
  2. Offshore Funds: investors in non-reporting funds: computation of offshore income gain: introduction

IFM13510 | Offshore Funds: investors in non-reporting funds: computation of offshore income gain: introduction

From HM Revenue & Customs · Investment Funds Manual

Regulation 38 of SI 2009/3001

An offshore income gain (‘OIG’) will arise when a UK investor disposes of an interest in:

  • a non-reporting fund;

  • a reporting fund that has not had reporting fund status at a time in the period during which the investor held their interest (and in respect of which no election was made under paragraph (4) of Schedule 1 to the Offshore Funds (Tax) Regulations 2009) at the appropriate time (see IFM13270 and IFM13370); or

  • a reporting fund which was previously a non-qualifying fund (i.e. one that did not have distributing fund status) at a time in the period during which the investor held their interest (and in respect of which no election was made under paragraph (4) of Schedule 1 to the Offshore Funds (Tax) Regulations 2009 at the appropriate time),

- and a basic gain arises on such a disposal.

The OIG will be an amount equal to the basic gain. The following pages explain that term, and the more detailed provisions that apply to such disposals.

Next
PrivacyTerms