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Official guidance
Savings and Investment Manual

SAIM5000 · Dividends and other company distributions: overview and contents

  • SAIM5010 · Dividends and other company distributions: introduction
  • SAIM5020 · Dividends and other company distributions: the charge to tax on UK dividends etc.
  • SAIM5030 · Dividends and other company distributions: meaning of distribution
  • SAIM5040 · Dividends and other company distributions: company law
  • SAIM5050 · Dividends and other company distributions: qualifying and non-qualifying distributions: non-CD distributions and CD distributions
  • SAIM5060 · Dividends and other company distributions: UK dividends taxed as trading income
  • SAIM5070 · Dividends and other company distributions: distributions from OEICs and AUTs
  • SAIM5080 · Dividends and other company distributions: dividends from share incentive plans
  • SAIM5090 · Dividends and other company distributions: tax years up to 2015-16: tax credits: introduction
  • SAIM5100 · Dividends and other company distributions: tax credits on qualifying distributions: tax years up to 2015-16
  • SAIM5102 · Dividends and other company distributions: tax credits on foreign distributions: tax years up to 2015-16
  • SAIM5104 · Dividends and other company distributions: tax credits on foreign distributions: what were ‘relevant distributions’: tax years up to 2015-16
  • SAIM5106 · Dividends and other company distributions: tax credits on foreign distributions: eligibility to foreign tax credit relief: tax years up to 2015-16
  • SAIM5110 · Dividends and other company distributions: tax credits on qualifying distributions: tax years up to 2015-16: example
  • SAIM5120 · Dividends and other company distributions: tax treated as paid on distributions received by non-UK resident persons
  • SAIM5130 · Dividends and other company distributions: no tax credits on non-qualifying distributions - tax years up to 2015-16: relief: distribution repaying shares or security issued in earlier distribution
  • SAIM5140 · Dividends and other company distributions: no tax credits on non-qualifying distributions: tax years up to 2015-16: example
  • SAIM5150 · Dividends and other company distributions: stock dividends: introduction
  • SAIM5160 · Dividends and other company distributions: stock dividends: the tax charge
  • SAIM5170 · Dividends and other company distributions: stock dividends: the tax charge: cash equivalent
  • SAIM5180 · Dividends and other company distributions: stock dividends: the tax charge: tax treated as paid: tax years up to 2015-16
  • SAIM5190 · Dividends and other company distributions: stock dividends: the tax charge: tax treated as paid: tax years up to 2015-16: example
  • SAIM5200 · Dividends and other company distributions: loans and advances by close companies to participators: amounts written off
  • SAIM5210 · Dividends and other company distributions: foreign dividends
  • SAIM5220 · Dividends and other company distributions: sale of foreign dividend coupons
  • SAIM5300 · Dividends and other company distributions: UK Real Estate Investment Trusts: introduction
  • SAIM5310 · Dividends and other company distributions: UK Real Estate Investment Trusts: property income distributions
  • SAIM5320 · Dividends and other company distributions: UK Real Estate Investment Trusts: other distributions
  • SAIM5330 · Dividends and other company distributions: UK Real Estate Investment Trusts: taxation of distributions
  • SAIM5340 · Dividends and other company distributions: UK Real Estate Investment Trusts: tax returns
  1. Dividends and other company distributions: overview and contents
  2. Dividends and other company distributions: UK Real Estate Investment Trusts: other distributions

SAIM5320 | Dividends and other company distributions: UK Real Estate Investment Trusts: other distributions

From HM Revenue & Customs · Savings and Investment Manual

Not all distributions are Property Income Distributions

CTA10/S550 sets out the rules for identifying which of a UK-REIT’s distributions are from its tax-exempt property rental business, and thus payable under deduction of income tax (other than for gross payment cases - see GREIT08025).

Any other payments made by the company (principal company in the case of a Group REIT) that are treated as distributions for tax purposes are not subject to the deduction of basic rate income tax rules that apply to property income distributions. The same treatment applies to all payments made by subsidiary companies of a UK-REIT. These distributions are treated as normal company distributions.

A condition of being a UK-REIT is that 90% of the rental profits of its tax-exempt business as calculated for tax purposes must be paid out as distributions. Distributions made to meet this requirement are earmarked as the first part of the distribution. This distribution is paid under deduction of income tax at basic rate (other than for gross payment cases - see GREIT08025).

If the distribution for the accounting period is more than the 90% minimum, the UK-REIT has a choice over the remainder. Some or all of it may be attributed to profits arising from non tax-exempt activities and paid out as a normal company distribution, to which a tax credit may attach. Income tax is not deducted on payment.

The balance (if any) arises from tax-exempt business and is paid under deduction of income tax at basic rate (other than for gross payment cases - see GREIT08025) and treated as income from a UK property business. For more information on the rules for attributing a distribution between PID and ordinary dividend, see GREIT08010. Note that the shareholder will receive a dividend voucher setting out how much of the distribution is a PID and how much (if any) is an ordinary company dividend.

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