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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: annual payments and yearly interest: overview

SAIM9040 | Deduction of tax: annual payments and yearly interest: overview

From HM Revenue & Customs · Savings and Investment Manual

The obligation to deduct tax: background

A long standing feature of the tax system has been the obligation imposed on persons paying certain types of interest, and annual payments and patent royalties (referred to as ‘charges’ on income) to deduct tax and account for it to the Revenue. See SAIM8000 for more on annual payments. Formerly, interest and charges were not allowable as deductions in computing profits from a given source. For tax purposes the amount of the charge was treated as alienated by the payer and formed part of the payee’s income. In effect the payer accounted for the tax liability of the recipient of the payment by deducting tax and paying it to the Revenue, and the payee received a net payment.

The types of interest and annual payment to which deduction of tax was applied became narrower over the years. For tax years before 2006-07, the rules on the deduction of tax were ICTA88/S348 to S350 and applied to

  • annual payments made ‘out of’ profits or gains brought into charge to income tax (ICTA88/S348);

  • annual payments and ‘annual interest’, ‘not out of’ profits or gains brought into charge to income tax (ICTA88/S349). This applied mainly to companies, which pay corporation tax rather than income tax on their profits.

ICTA88/S348 entitled a person paying an annuity or other annual payment to deduct tax from the payments. For an income tax payer, this meant that deduction of tax was optional, although in practice the payer would pay net. The annual payment was not an allowable deduction from income, and was therefore made out of taxed income. Tax was collected as part of the tax charged on the payer’s income. Other provisions in the Taxes Acts reduced personal reliefs or the availability of losses in cases where the payer only had enough taxable income to cover part of the charge.

Under ICTA88/S349 deduction of tax was mandatory. It required the deduction of tax from annuities, annual payments not made ‘out of’ profits or gains brought into charge for income tax and from payments of ‘annual interest’. These were cases where the payer did not have enough income out of which the payments were made, or to payments made by companies. (See the Company Tax Manual CTM9000 for more on charges paid by companies).

ICTA88/S350 allowed the Revenue to raise an assessment on the payer to recover the tax if they failed to deduct tax at source, as required under ICTA88/S349 or where annual payments under ICTA88/S348 exceeded taxed income.

SAIM9050 has more on the old legislation.

The scope of these sections was further simplified as a consequence of the Tax Law Rewrite project. From 2007-08 onwards, relief for annual payments and patent royalties is now given in Chapter 4 of Part 8 of ITA07, which merges the rules formerly in ICTA88/S348 and S349 into a single tax treatment replacing the former legislation on charges on income with an ordinary deduction from income. The requirement to deduct tax from interest, annual payments, etc. is now part of the rules in Part 15 of ITA07. SAIM9060 has more on the new legislation.

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