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Contents

Official guidance
Savings and Investment Manual

SAIM9000 · Deduction of tax: overview and contents

  • SAIM9010 · Deduction of tax: introduction
  • SAIM9020 · Deduction of tax: ‘deposit takers’: bank and building society interest
  • SAIM9030 · Deduction of tax: ‘deposit takers’: bank and building society interest: TDSI
  • SAIM9035 · Deduction of tax: local authorities
  • SAIM9040 · Deduction of tax: annual payments and yearly interest: overview
  • SAIM9050 · Deduction of tax: annual payments and yearly interest: overview: the old rules
  • SAIM9060 · Deduction of tax: annual payments and yearly interest: overview: the current rules
  • SAIM9070 · Deduction of tax: yearly interest
  • SAIM9075 · Deduction of tax: yearly interest: case law on short and yearly interest
  • SAIM9076 · Deduction of tax: yearly interest: practical application
  • SAIM9078 · Deduction of tax: yearly interest: the person by or through whom payment is made
  • SAIM9080 · Deduction of tax: yearly interest: ‘place of abode’ of recipient
  • SAIM9090 · Deduction of tax: yearly interest: UK source: the general rule
  • SAIM9092 · Deduction of tax: yearly interest: UK source: specialty debt
  • SAIM9095 · Deduction of tax: yearly interest: UK source: companies
  • SAIM9100 · Deduction of tax: yearly interest: capitalised interest
  • SAIM9110 · Deduction of tax: yearly interest: artificial arrangements
  • SAIM9115 · Deduction of tax: yearly interest: interest relating to compensation payments
  • SAIM9116 · Deduction of tax: yearly interest: interest relating to compensation payments: amounts paid by financial institutions
  • SAIM9117 · Deduction of tax: interest in kind: certificate of tax deducted
  • SAIM9120 · Deduction of tax: annual payments
  • SAIM9130 · Deduction of tax: annual payments: royalties
  • SAIM9140 · Deduction of tax: payments other than interest and annual payments
  • SAIM9150 · Deduction of tax: collection arrangements: deposit takers, building societies and companies
  • SAIM9160 · Deduction of tax: collection arrangements: persons other than companies
  • SAIM9170 · Deduction of tax: collection arrangements: persons other than companies: direct collection
  • SAIM9200 · Payment of interest overseas
  • SAIM9210 · Payment of interest overseas: exceptions to obligation to deduct
  • SAIM9220 · Payment of interest overseas: borrowing by United Kingdom permanent establishment of overseas company
  • SAIM9230 · Payment of interest overseas: borrowing from UK permanent establishment of overseas company
  • SAIM9240 · Payment of interest overseas: loan where both recipient and payer are outside the UK
  • SAIM9250 · Payment of interest overseas: loan documentation
  • SAIM9260 · Payment of interest overseas: bond documentation
  • SAIM9310 · Deduction of tax: qualifying private placements: overview
  • SAIM9320 · Deduction of tax: qualifying private placements: the gateway conditions
  • SAIM9330 · Deduction of tax: qualifying private placements: the regulations: overview
  • SAIM9340 · Deduction of tax: qualifying private placements: the regulations: the relevant security
  • SAIM9350 · Deduction of tax: qualifying private placements: the regulations: the relevant debtor
  • SAIM9360 · Deduction of tax: qualifying private placements: the regulations: the creditor
  • SAIM9370 · Deduction of tax: qualifying private placements: the regulations: creditor certificates
  • SAIM9380 · Deduction of tax: qualifying private placements: the regulations: creditor certificates: withdrawn and cancelled certificates
  • SAIM9180 · Deduction of tax: collection arrangements: failure to deduct tax
  1. Deduction of tax: overview and contents
  2. Deduction of tax: introduction

SAIM9010 | Deduction of tax: introduction

From HM Revenue & Customs · Savings and Investment Manual

The obligation to deduct tax at source from interest paid by deposit takers was repealed from 6 April 2016.

There are a number of circumstances in which the Tax Acts require a person making a payment to another person to deduct tax from that payment. Deduction of tax at source is commonly applied to savings and investment income. In particular, ‘deposit takers’ (mainly banks) and building societies and other ‘deposit takers’ must deduct tax from interest paid on investments, and other ‘persons’ must deduct tax from ‘yearly interest’ and from ‘annual payments’ in certain circumstances.

These obligations are now brought together in Part 15 of the Income Tax Act 2007, and apply to all types of payment from which tax is to be deducted at source, except those covered by PAYE or the Construction Industry Scheme. Part 15 also sets out the machinery under which tax deducted is collected.

Income tax is deducted from interest at the basic rate in force for the tax year in which the payment is made, or at the savings rate for years up to and including 2007-08 (SAIM1080). Income tax deducted from annual payments and patent royalties (SAIM9120) is at the basic rate, even for years in which the savings rate was in force. The tax deducted is treated as if it were tax paid by the recipient of the income (ITA07/S848).

Deposit takers

The obligation on deposit takers and building societies to deduct tax is set out in Chapter 2 of Part 15. See SAIM9020.

‘Yearly interest’ and ‘annual payments’

Persons (including individuals and companies), other than deposit takers and building societies, who pay ‘yearly interest’ or make ‘annual payments’ must deduct tax under the rules in Chapter 3 and Chapter 6 of Part 15 respectively. See SAIM9040 onwards. Annual payments are explained at SAIM8000 onwards.

Deduction of tax by companies and individuals who are traders

Guidance on payments made by companies, and the circumstances in which they must deduct tax, is set out in the Company Taxation Manual (CTM35000 onwards). The guidance in the Savings and Investment Manual applies only to payments made by non-corporate persons, in effect individuals and trustees.

You should consult the Business Income Manual for guidance on payments made by individuals who are traders. See in particular BIM45650 (interest).

Interest treated as a distribution under CTA2010/S1000 (formerly ICTA88/S209(2)

Where CTA2010/S1000 applies to treat interest paid by the issuer of a security as a distribution for Corporation tax purposes, there is no requirement to deduct income tax at source on the interest treated as a deemed distribution. For more information see CTM 15000 onwards.

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