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Official guidance
Trusts, Settlements and Estates Manual

TSEM3650 · Trust income and gains: relief to trust beneficiary for overseas tax - table of contents

  • TSEM3655 · Trust income and gains: relief for overseas tax: beneficiary entitled to trust income
  • TSEM3660 · Trust income and gains relief for overseas tax: annuity from a trust
  • TSEM3665 · Trust income and gains: relief for overseas tax: trust income deemed not to be the beneficiary's
  • TSEM3670 · Trust income and gains: relief for overseas tax - discretionary trust
  • TSEM3675 · Trust income and gains: relief for overseas tax: expenses of discretionary trust
  • TSEM3680 · Trust income and gains: relief for overseas tax - trustee's certificate of overseas taxed income
  • TSEM3685 · Trust income and gains: relief for overseas tax: mixed trust
  1. Trust income and gains: relief to trust beneficiary for overseas tax - table of contents
  2. Trust income and gains: relief for overseas tax - discretionary trust

TSEM3670 | Trust income and gains: relief for overseas tax - discretionary trust

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

These instructions apply to taxed overseas income received by a discretionary or accumulation trust. The trustees can claim double taxation relief in respect of overseas tax that qualifies for relief. The trustee’s marginal rate is the rate applicable to trusts, or where it applies, the dividend trust rate. INTM367780+ onwards has instructions about calculating relief.

A paying agent may have allowed provisional tax credit relief on overseas income. The computation of double taxation relief must reflect this.

Tax pool

The ICTA88/S687 tax pool must contain only UK tax paid or suffered by deduction. It must not include UK tax covered by credit for overseas tax.

ICTA88/S687 (3)(a) effectively withdraws the double taxation relief when the trustees make a discretionary payment to a beneficiary.

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