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Contents

Official guidance
Remittance Basis and Domicile Manual

RDRM31400 · Remittance Basis: Introduction to the Remittance Basis: Transitional Provisions

  • RDRM31410 · Overview of Transitional Provisions
  • RDRM31420 · General earnings for years prior to 6 April 2008
  • RDRM31430 · Relevant foreign income arising prior to 6 April 2008 remitted after 5 April 2008
  • RDRM31440 · Relevant foreign income and the temporary non-residents rule
  • RDRM31450 · Relevant foreign income and section 809E ITA 2007
  • RDRM31460 · Property derived from relevant foreign income not treated as a remittance (1)
  • RDRM31470 · Property derived from relevant foreign income not treated as a remittance (2)
  • RDRM31480 · Relevant persons and foreign income and gains arising before 6 April 2008
  • RDRM31490 · Relevant persons and foreign income and gains arising to a settlement before 6 April 2008
  • RDRM31500 · Relevant foreign income and offshore loans
  • RDRM31501 · Relevant foreign income and offshore loans - Example 1
  • RDRM31502 · Relevant foreign income and offshore loans - Example 2
  • RDRM31503 · Relevant foreign income and offshore loans - Example 3
  • RDRM31504 · Relevant foreign income and offshore loans - Example 4
  • RDRM31505 · Relevant foreign income and offshore loans - Example 5
  • RDRM31506 · Relevant foreign income and offshore loans - Example 6
  • RDRM31507 · Relevant foreign income and offshore loans - Example 7
  • RDRM31508 · Relevant foreign income and offshore loans - Example 8
  • RDRM31510 · Loans in existence before 12 March 2008 - Grandfathering no longer applicable
  • RDRM31520 · Chargeable gains accruing prior to 6 April 2008 remitted after 5 April 2008
  • RDRM31530 · Republic of Ireland
  • RDRM31540 · Employment - related securities
  1. Remittance Basis: Introduction to the Remittance Basis: Transitional Provisions: Contents
  2. Remittance Basis: Introduction to the Remittance Basis: Transitional Provisions: Relevant foreign income and offshore loans - Example 3

RDRM31503 | Remittance Basis: Introduction to the Remittance Basis: Transitional Provisions: Relevant foreign income and offshore loans - Example 3

From HM Revenue & Customs · Remittance Basis and Domicile Manual

Samantha is a UK resident remittance basis user. On 1 March 2008 she agreed a mortgage facility with an overseas bank of £1,000,000 to use to purchase a UK property. Samantha intends to pay interest on the loan out of her ‘relevant foreign income’.

On 10 March, Samantha agreed to purchase a residential property and the bank transferred £750,000 to her Solicitor’s account that was in turn transferred to the person selling the property. Because the money was lent to enable Samantha to acquire an interest in the property (and for no other purpose) the £750,000 is covered by ‘grandfathering’.

On 10 March the bank transferred the remaining £250,000 of the agreed lending facility to Samantha’s bank account in the Isle of Man where it remained until 10 May 2008 when it was remitted to the UK and used to acquire a further interest in the residential property. Because this £250,000 was received in the UK after 6 April 2008 the interest payments that must be made in respect of this ‘additional’ amount of £250,000 are, from 10 May onwards, a taxable remittance of Samantha’s overseas income and gains.

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