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Contents

Official guidance
Remittance Basis and Domicile Manual

RDRM31100 · Remittance Basis: Introduction to the Remittance Basis: Foreign Income and Gains

  • RDRM31110 · Foreign Income and Gains - overview
  • RDRM31120 · Employment income - relevant foreign earnings
  • RDRM31125 · Employment income - provided through third parties
  • RDRM31130 · Employment - Related Securities - specific employment income
  • RDRM31140 · Relevant Foreign Income
  • RDRM31150 · Relevant Foreign Income - allowable expenses
  • RDRM31160 · Dividends from foreign companies - dividend tax credits and remittance basis
  • RDRM31170 · Foreign chargeable gains
  • RDRM31180 · Foreign chargeable gains accruing on disposal made otherwise than for full consideration
  • RDRM31190 · Exchange Rates
  • RDRM31195 · RDRM31195 - Remittance Basis: Introduction to the Remittance Basis: Unremittable income and gains
  1. Remittance Basis: Introduction to the Remittance Basis: Foreign Income and Gains: Contents
  2. Remittance Basis: Introduction to the Remittance Basis: Foreign Income and Gains: Relevant Foreign Income

RDRM31140 | Remittance Basis: Introduction to the Remittance Basis: Foreign Income and Gains: Relevant Foreign Income

From HM Revenue & Customs · Remittance Basis and Domicile Manual

Relevant foreign income (RFI) is a general collective term for income that arises from various sources outside the UK, for example: profits from a foreign property business, foreign dividends and foreign interest - refer to ITTOIA05/s830 for full list.

The most common types of RFI, which arise from a source outside the UK, include:

  • Trade Profits - the profits of a trade, profession or vocation carried on wholly outside the UK

  • Profits of a property business where the property is overseas

  • Interest, such as interest paid on a foreign bank account

  • Dividends from Non-UK resident companies, excluding dividends of a capital nature

  • Purchased life annuity payments - annuity payments made under a foreign purchased life annuity; tax is charged on the full amount of payments

  • Profits from deeply discounted securities

  • Proceeds from sale of foreign dividend coupons

  • Royalties and other income from intellectual property

  • Profits from a business which involves films or sound recordings; classed as a ’non-trade business’.

Note on Tax Rates: The ‘starting rate’ for savings income does not apply to income which is relevant foreign income and which is charged on the remittance basis (ITA07/s18(2)).

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