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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 - interest in possession trusts

TSEM10260 | Non-resident trusts: trustees’ chargeability: Income Tax - interest in possession trusts

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

The trustees of a non-resident IIP trust are chargeable at the basic rate on the trust’s UK-source income, without any deduction for trust management expenses.

The trustees are also taxable at the special trust rates on certain receipts that are deemed to be income under ITA07/Ss481-482 - see TSEM3201

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