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Contents

Official guidance
Trusts, Settlements and Estates Manual

TSEM3750 · Trust income and gains: beneficiaries

  • TSEM3754 · Beneficiary receives discretionary income payment from a resident trust
  • TSEM3755 · Company beneficiary receives discretionary income payment from a resident trust
  • TSEM3756 · Individual beneficiary receives discretionary income payment from a resident trust: trust not settlor-interested
  • TSEM3757 · Individual beneficiary receives discretionary income payment from a resident trust: settlor-interested trust
  • TSEM3759 · Individual beneficiary receives discretionary income payment from a resident trust: when payment made
  • TSEM3760 · Beneficiary entitled to trust income - guidance
  • TSEM3761 · Beneficiary entitled to trust income - overview
  • TSEM3762 · IIP beneficiary - measure of income for tax purposes - items disregarded
  • TSEM3763 · Beneficiary receives trust income directly, the beneficiary's return
  • TSEM3764 · Beneficiary entitled to trust income - grossing up
  • TSEM3765 · Beneficiary entitled to trust income - credit for trustees' tax
  • TSEM3766 · Beneficiary entitled to trust income - grossing up and credit for trustees' tax example
  • TSEM3767 · Beneficiary entitled to trust income - form R185 (Trust Income)
  • TSEM3768 · Beneficiary entitled to trust income - deemed income
  • TSEM3769 · Beneficiary entitled to trust income - deemed income - beneficiary is effectively the owner of the property
  • TSEM3770 · Beneficiary entitled to trust income - trust that trades or has rental income - general
  • TSEM3771 · Beneficiary entitled to trust income - trust that trades or has rental income - business expenses
  • TSEM3772 · Beneficiary entitled to trust income - trust that trades or has rental income - Capital Allowances
  • TSEM3773 · Beneficiary entitled to trust income - trust that trades or has rental income - losses
  • TSEM3780 · Payment from trust capital - when income accumulates
  • TSEM3781 · Payment from trust capital - normally capital in beneficiary’s hands
  • TSEM3782 · Payment from trust capital - normally capital in beneficiary’s hands - S31 Trustee Act 1925
  • TSEM3783 · Payment from trust capital - exceptions to normal rule
  • TSEM3784 · Payment from trust capital - exceptions to normal rule - annuity
  • TSEM3785 · Payment from trust capital - exceptions to normal rule - payment to supplement or augment income
  • TSEM3786 · Payment from trust capital - compensation treated as income
  • TSEM3787 · Payment from trust capital - compensation treated as capital
  • TSEM3788 · Payment of personal expenses from income
  • TSEM3789 · Payment of personal expenses from capital
  • TSEM3790 · Discretionary payment from a non-resident trust
  1. Trust income and gains: beneficiaries: contents
  2. Trust income and gains: beneficiaries: payment of personal expenses from income

TSEM3788 | Trust income and gains: beneficiaries: payment of personal expenses from income

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

Trustees may pay expenses that are the personal liability of a beneficiary. For example, a beneficiary may occupy a property belonging to the trust. The trustees could pay items that are the occupier’s responsibility, such as gas, electricity and telephone bills, rates or Council Tax (including business rates if appropriate).

Any income used to pay such expenses is a distribution in kind to the beneficiary in question, and is treated as such. The payment:

  • confers an income benefit on the beneficiary and

  • creates a charge on the trustees, of such a gross sum as after deduction of tax at the basic rate leaves a net amount equal to the expenses paid.

The trustees should give the beneficiary a form R185 (Trust Income). The income benefit conferred on the beneficiary is an annual payment. The grossed up expenses can give rise to liability on the trustees under ITA/S901.

The beneficiary’s occupation of trust property is an income benefit, equivalent to an entitlement to income, so the non-discretionary basis applies.

Tax cases

Tollemache (Lord) v CIR (11 TC 277), Sutton v CIR (14 TC 662), Miller (Lady) v CIR (15 TC 25)

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