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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  • RDRM31510 · Loans in existence before 12 March 2008 - Grandfathering no longer applicable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 6

RDRM31506 | Remittance Basis: Introduction to the Remittance Basis: Transitional Provisions: Relevant foreign income and offshore loans - Example 6

From HM Revenue & Customs · Remittance Basis and Domicile Manual

Emilie is a UK resident non-domiciled remittance basis user who has agreed with her bank in France that she will borrow £5,000,000.

Before 12 March 2008, £4.5 million of the facility is initially drawn down and the money is used by Emilie to purchase a residential property in the UK.

Subsequently (and before 12 March 2008) a second tranche of £500,000 was drawn down under the same loan facility, also outside the UK. The money from the second draw down was used to refurbish the residential property purchased by the first draw down.

The effect of FA2008/para 90(1) is to provide transitional provisions for loans made for the purpose of acquiring an interest in residential property in the UK. In this scenario, there are effectively two separate loans, even though they were made under a single facility letter. It is the drawdown of the money rather than the facility letter which constitutes the lending of the money. Therefore the first £4.5m drawn-down was money lent to the individual before 12 March and used to purchase a UK residential property and for no other purpose and was secured on that interest. That being the case, the transitional conditions will apply if, and to the extent that, relevant foreign income is used to pay interest on the debt.

However, because the second £0.5m tranche of money was used to refurbish the property rather than to acquire an interest in it, it is does not meet the conditions set out para 90(1)(b). Any relevant foreign income which is used to pay interest on this part of the debt will be treated as a taxable remittance in the UK.

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