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Contents

Official guidance
Savings and Investment Manual

SAIM2000 · Interest: overview and contents

  • SAIM2010 · Interest: introduction
  • SAIM2020 · Interest: the layout of the guidance
  • SAIM2030 · Interest: meaning of interest
  • SAIM2040 · Interest: when does interest run?
  • SAIM2050 · Interest: voluntary payments
  • SAIM2060 · Interest: case law on the meaning of interest
  • SAIM2065 · Interest: Solicitors' client accounts
  • SAIM2070 · Interest: lump sum receipts and compensation
  • SAIM2075 · Interest: Compensation: background and examples
  • SAIM2076 · Interest: Compensation: further examples
  • SAIM2080 · Interest: Compensation: practical considerations
  • SAIM2085 · Interest: interest payable from the Financial Services Compensation Scheme
  • SAIM2090 · Interest: interest payable from the Financial Services Compensation Scheme: examples
  • SAIM2095 · Interest: interest payable from the Financial Services Compensation Scheme: types of financial products and payments taxable as interest
  • SAIM2100 · Interest: interest payable from the Financial Services Compensation Scheme: tax certificates
  • SAIM2105 · Interest: payment protection insurance (PPI) compensation
  • SAIM2110 · Interest: interest and PPI
  • SAIM2115 · Interest: both loan and PPI still running
  • SAIM2120 · Interest: loan repaid early and PPI cancelled
  • SAIM2125 · Interest: loan and PPI run full term
  • SAIM2130 · Interest: loan still in existence but PPI changed
  • SAIM2135 · Interest: credit card and PPI still running
  • SAIM2140 · Interest: credit card still being used but PPI cancelled
  • SAIM2145 · Credit card closed and PPI cancelled
  • SAIM2200 · Interest: specific inclusions: introduction
  • SAIM2210 · Interest: specific inclusions: funding bonds
  • SAIM2220 · Interest: specific inclusions: discounts
  • SAIM2230 · Interest: specific inclusions: discounts: taxation
  • SAIM2240 · Interest: specific inclusions: discounts: case law
  • SAIM2250 · Interest: specific inclusions: alternative finance return
  • SAIM2255 · Interest: specific inclusions: alternative finance arrangements: cross references
  • SAIM2300 · Interest: exemptions: tax-free savings income
  • SAIM2310 · Interest: exemptions: tax-free savings income: ISAs, PEPs and CTFs
  • SAIM2320 · Interest: exemptions: other statutory exemptions
  • SAIM2330 · Interest: exemptions: personal injury damages
  • SAIM2340 · Interest: exemptions: compensation for mis-sold pensions
  • SAIM2400 · Interest: taxation of interest: the tax charge
  • SAIM2410 · Interest: taxation of interest: person chargeable: examples
  • SAIM2420 · Interest: taxation of interest: joint accounts
  • SAIM2430 · Interest: taxation of interest: children's accounts
  • SAIM2440 · Interest: taxation of interest: when interest arises
  • SAIM2450 · Interest: taxation of interest: accrued interest
  • SAIM2500 · Interest: sale of interest rights: introduction
  • SAIM2510 · Interest: sale of interest rights: disposal of deposit rights
  • SAIM2520 · Interest: sale of interest rights: disposal of deposit rights: the legislation
  • SAIM2600 · Interest: interest in kind
  • SAIM2700 · Disguised interest
  1. Interest: overview and contents
  2. Interest: exemptions: compensation for mis-sold pensions

SAIM2340 | Interest: exemptions: compensation for mis-sold pensions

From HM Revenue & Customs · Savings and Investment Manual

Interest included in compensation for mis-sold personal pensions

FA96/S148 exempts compensation received for mis-sold personal pensions from both income tax and capital gains tax, provided certain statutory conditions are met. The recipient of the compensation must

  • have opted or transferred out of, or failed to join, an occupational pension scheme, in favour of becoming a member of a personal pension plan or taking out a retirement annuity contract,

  • as a result of receiving ‘bad investment advice’, and

  • at least part of this advice must have given in the period 29 April 1988 to 30 June 1994 (the period covered by the review ordered by the Securities and Investment Board in 1994).

‘Bad investment advice’ is statutorily defined in FA96/S148 (6) - see CG13083. Guidance on the tax treatment of compensation for mis-sold pensions generally is at CG13080 onwards.

There is also an exemption (FA96/S148 (5)) for interest included in such compensation payments. But this exemption only covers interest up to the date on which the capital sum payable is agreed, or determined by a court, tribunal or arbitrator. If there is delay between agreement of the amount and actual payment, interest for that period is taxable in the normal way.

An extra-statutory concession (ESCA99) announced in a press release of 28 February 2000 (PR23/00) extended the FA96/S148 exemptions, including the exemption for interest, to compensation received for Free Standing Additional Voluntary Contributions (FSAVC) that were mis-sold in the period 28 April 1988 to 15 August 1999. Again, only interest up to the date on which the compensation payable was agreed is exempted

The exemption is specific to compensation for mis-selling of pensions - it does not extend to mis-selling of financial products generally (see SAIM2080).

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