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Official guidance
Savings and Investment Manual

SAIM4000 · Accrued Income Scheme: overview and contents

  • SAIM4010 · Accrued Income Scheme: the background to the Accrued Income Scheme
  • SAIM4020 · Accrued Income Scheme: transfers 'with accrued interest' and 'without accrued interest'
  • SAIM4030 · Accrued Income Scheme: outline of the legislation
  • SAIM4040 · Accrued Income Scheme: what are ‘securities’?
  • SAIM4050 · Accrued Income Scheme: what is a 'transfer'?
  • SAIM4060 · Accrued Income Scheme: different kinds of transfer
  • SAIM4070 · Accrued Income Scheme: ‘interest’ and related terms
  • SAIM4080 · Accrued Income Scheme: ‘settlement day’
  • SAIM4090 · Accrued Income Scheme: the holding of securities
  • SAIM4100 · Accrued Income Scheme: definitions: nominal value
  • SAIM4110 · Accrued Income Scheme: calculating accrued income profits and losses
  • SAIM4120 · Accrued Income Scheme: calculating accrued income profits and losses: relief for losses
  • SAIM4130 · Accrued Income Scheme: calculating accrued income profits and losses: examples
  • SAIM4140 · Accrued Income Scheme: payments on transfers with accrued interest
  • SAIM4150 · Accrued Income Scheme: payments on transfers without accrued interest
  • SAIM4160 · Accrued Income Scheme: examples of transfers with and without accrued interest
  • SAIM4170 · Accrued Income Scheme: payments on transfers with unrealised interest
  • SAIM4180 · Accrued Income Scheme: payments on transfers of variable rate securities
  • SAIM4190 · Accrued Income Scheme: transfers to legatees
  • SAIM4200 · Accrued Income Scheme: excluded persons: overview
  • SAIM4210 · Accrued Income Scheme: 'small holdings' exclusion
  • SAIM4220 · Accrued Income Scheme: other excluded persons
  • SAIM4230 · Accrued Income Scheme: other excluded persons: non- residents
  • SAIM4240 · Accrued Income Scheme: special cases: overview
  • SAIM4250 · Accrued Income Scheme: special types of transfer: gilts strips
  • SAIM4260 · Accrued Income Scheme: special types of transfer: new issues of securities
  • SAIM4270 · Accrued Income Scheme: special types of transfer: transfers to and from excluded persons
  • SAIM4280 · Accrued Income Scheme: excluded transfers: stock lending and ‘repos’
  • SAIM4290 · Accrued Income Scheme: special calculations: interest in default
  • SAIM4300 · Accrued Income Scheme: special calculations: interest in default: application of rules
  • SAIM4310 · Accrued Income Scheme: special calculations: foreign currency securities
  • SAIM4320 · Accrued Income Scheme: special cases: nominees and trustees
  • SAIM4340 · Accrued Income Scheme: relief for unremittable transfers
  • SAIM4350 · Accrued Income Scheme: exemptions for interest receivable on AIS securities
  • SAIM4360 · Accrued Income Scheme: examination of returns
  • SAIM4370 · Accrued Income Scheme: double taxation relief
  • SAIM4380 · Accrued Income Scheme: remittance basis
  • SAIM4390 · Accrued Income Scheme: remittance basis: examples
  • SAIM4400 · Accrued Income Scheme: remittance basis: further examples
  • SAIM4330 · Accrued Income Scheme: special cases: unauthorised unit trusts
  1. Accrued Income Scheme: overview and contents
  2. Accrued Income Scheme: ‘interest’ and related terms

SAIM4070 | Accrued Income Scheme: ‘interest’ and related terms

From HM Revenue & Customs · Savings and Investment Manual

‘Interest’ excludes premiums and discounts

ITA07/S671 defines interest to include dividends and any other return, except for a return that consists of the difference between the issue and redemption prices. So if a security is issued (or purchased) at a discount to its nominal value, or redeemed at a premium, the discount or premium will not enter into AIS calculations.

‘Interest payment day’

ITA07/S672 defines an interest payment day as a day on which interest is payable, or, if payment may be made on a number of days, on the first of those days.

‘Interest period’

ITA07/S673 defines ‘interest period’. The normal rule is that

  • the first interest period begins with the day following that on which the securities were issued, and ends with the first interest payment date, or if earlier the expiry of 12 months, and

  • any other interest period begins with the day after the last day of the previous interest period, and ends with the next interest payment date, or if earlier the expiry of 12 months.

The last interest period of any kind ends with the last interest payment day, except that

  • a conversion of securities, or

  • an exchange of gilts of a particular kind for gilt strips (see SAIM3130)

also bring an interest period to an end.

The effect of the general rule is to prevent tax charges on accrued interest being deferred for more than 12 months.

Example

On 1 March 2014, Elkhorn plc issues a bond maturing on 31 December 2016. Interest is payable on the bond, but under the issue terms it is rolled up and paid on the maturity date. The first interest period will therefore run from 2 March 2014 (the day following issue) to 1 March 2015. Subsequent interest periods will be 2 March 2015 to 1 March 2016, and 2 March 2016 to 31 December 2016.

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