Skip to content
Solved
SearchBrowse
Sign in

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: Capital Gains Tax - exit charge

TSEM10270 | Non-resident trusts: trustees’ chargeability: Capital Gains Tax - exit charge

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

If a UK resident trust becomes non-resident in a tax year, then immediately before the trust became non-resident there is deemed to be a disposal and reacquisition of the trust assets at the market value at that time (TCGA/S80).

If the disposal gives rise to a capital gain then the trustees are chargeable to Capital Gains Tax on that gain for the year, unless the settlor is in fact chargeable on those gains for years up to and including 2007-08 in accordance with TCGA/S77.

Where Capital Gains Tax is payable, then this is commonly referred to as an ‘exit charge’. BT&C Trusts deal with any liability under TCGA/S80.

Further information about the exit charge is at CG38200.

PreviousNext
PrivacyTerms