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Official guidance
Stamp Duty Land Tax Manual

SDLTM09850 · SDLT - increased rates for non-resident transactions

  • SDLTM09850A · Introduction - section 75ZA and Sch 9A FA2003
  • SDLTM09855 · Commencement and Transitional Rules - para 6 Sch 16 Finance (No.2) Bill 2021
  • SDLTM09860 · Non-resident Transactions - para 2 Sch 9A FA03
  • SDLTM09865 · Meaning of dwelling - para 20 Sch 9A FA03
  • SDLTM09870 · Rates of SDLT which apply to non-resident transactions - s75ZA FA03
  • SDLTM09870A · Application of the temporary reduced rates of SDLT to non-resident transactions
  • SDLTM09875 · Joint purchasers - para 2(1)(a) Sch 9A FA03
  • SDLTM09880 · Non-resident in relation to a chargeable transaction: Individuals, basic rule - para 4 Sch 9A FA03
  • SDLTM09885 · Spouses and civil partners of UK residents - para 12 Sch 9A FA03
  • SDLTM09890 · Non-resident in relation to a chargeable transaction: Individuals, special cases - para 5 Sch 9A FA03
  • SDLTM09895 · Non-resident in relation to a chargeable transaction:Crown employment - para 6 Sch 9A FA03
  • SDLTM09900 · Non-resident in relation to a chargeable transaction: Companies - para 7 Sch 9A FA03
  • SDLTM09905 · Non-resident in relation to a chargeable transaction: Companies, first condition - para 7(2) Sch 9A FA03
  • SDLTM09910 · Non-resident in relation to a chargeable transaction: Companies, second condition - para 7(3) Sch 9A FA03
  • SDLTM09915 · Non-resident in relation to a chargeable transaction: Companies, second condition, non-UK control test - para 9 Sch 9A FA03
  • SDLTM09920 · Non-resident in relation to a chargeable transaction: Companies, second condition, non-UK control test, general partners - para 9(7) Sch 9A FA03
  • SDLTM09925 · Non-resident in relation to a chargeable transaction: Companies, second condition, non-UK control test, attribution of rights and powers - para 10 Sch 9A FA03
  • SDLTM09930 · Non-resident in relation to a chargeable transaction: Companies, second condition, excluded companies - para 11 Sch 9A FA03
  • SDLTM09935 · Non-resident in relation to a chargeable transaction: Companies, second condition, examples
  • SDLTM09940 · Bare trusts acquiring new lease; and purchases by settlements where a beneficiary entitled to occupy, or to income from, dwelling - paras 13 and 14 Sch 9A FA03
  • SDLTM09945 · Co-ownership authorised contractual schemes - para 15 Sch 9A FA03
  • SDLTM09950 · Alternative property finance - para 16 Sch 9A FA03
  • SDLTM09955 · Completion of contract previously substantially performed - para 17 Sch 9A FA03
  • SDLTM09960 · Completion and amendment of land transaction return where an individual becomes UK resident after return delivered - paras 18 and 19 Sch 9A FA03
  • SDLTM09960A · Completion and amendment of land transaction return where an individual becomes UK resident after return delivered - Effect of rules applying to spouses and civil partners of UK residents
  • SDLTM09965 · Record keeping and evidence of presence in the UK
  1. SDLT - increased rates for non-resident transactions: Contents
  2. SDLT - increased rates for non-resident transactions: Commencement and Transitional Rules - para 6 Sch 16 Finance (No.2) Bill 2021

SDLTM09855 | SDLT - increased rates for non-resident transactions: Commencement and Transitional Rules - para 6 Sch 16 Finance (No.2) Bill 2021

From HM Revenue & Customs · Stamp Duty Land Tax Manual

Where applicable, the non-resident SDLT (NRSDLT) surcharge applies to all purchases of dwellings with an effective date on or after 1 April 2021

Transitional rules provide that the surcharge does not apply where a contract has been:

  • entered into and substantially performed before 1 April 2021; or

  • entered into before 11 March 2020, unless they are excluded transactions.

The transitional rules do not apply where contracts were entered into before 11 March 2020 if:

  • there is any variation of the contract, or assignment of rights under the contract, on or after 11 March 2020;

  • the transaction is effected in consequence of the exercise on or after 11 March 2020, of any option, right of pre-emption or similar right; or

  • on or after 11 March 2020, there is an assignment, sub-sale or other transaction relating to the whole or part of the subject matter of the contract, as a result of which a person other than the purchaser under the contract becomes entitled to call for a conveyance.

Examples of a variation of a contract include (but are not restricted to) a change to:

  • the dwelling being purchased;

  • the parties to the contract, or to the contractual consideration; and

  • the term length of a lease.

However, some changes, for example to prescribed colour schemes or to the contractual completion date, may be too insignificant to amount to a variation.

Completing a land transaction return where the transition rules apply

Purchasers should complete “ Question 6 - date of contract or conclusion of missives” with the date that contracts were exchanged - For the transition rules to apply, this date must be earlier than 11 March 2020.

Purchasers should then answer no to “Question 52 - second part, are any of the purchasers non-UK resident?”

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