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Contents

Official guidance
Trusts, Settlements and Estates Manual

TSEM10200 · Non-resident trusts: trustees’ chargeability

  • TSEM10205 · Introduction
  • TSEM10210 · Income Tax
  • TSEM10215 · Income Tax - UK-source income - effect of ITA07/Ss811-814 - basic considerations
  • TSEM10220 · Income Tax - UK-source income - effect of ITA07/S811 - details
  • TSEM10225 · Income Tax - FOTRA securities
  • TSEM10230 · Income Tax - Accrued Income Scheme
  • TSEM10235 · Income Tax - accumulation and discretionary trusts
  • TSEM10240 · Income Tax - standard rate band
  • TSEM10245 · Income Tax - trust management expenses
  • TSEM10250 · Income Tax - trust management expenses - apportionment to untaxed income
  • TSEM10255 · Income Tax - tax pool
  • TSEM10260 · Income Tax - interest in possession trusts
  • TSEM10265 · Capital Gains Tax
  • TSEM10270 · Capital Gains Tax - exit charge
  • TSEM10275 · Capital Gains Tax - trustees fail to pay exit charge
  • TSEM10280 · Enquiries into trustees’ return
  1. Non-resident trusts: trustees’ chargeability: contents
  2. Non-resident trusts: trustees’ chargeability: Income Tax - Accrued Income Scheme

TSEM10230 | Non-resident trusts: trustees’ chargeability: Income Tax - Accrued Income Scheme

From HM Revenue & Customs · Trusts, Settlements and Estates Manual

Guidance on trusts and the Accrued Income Scheme is at TSEM3300+.

If a trust is non-resident throughout a tax year, the trustees are not chargeable to Income Tax on accrued income profits for that year.

The amount of such profits may be treated as income of the settlor (ITA07/S667(2) and(3)) in accordance with ITTOIA 2005, Chapter 5, Part 5 (TSEM4000+).

If the trust is a non-resident trust for only part of a tax year, see TSEM3340

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