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Official guidance
Trusts, Settlements and Estates Manual

TSEM4000 · Settlements legislation

  • TSEM4001 · ITTOIA destinations and origins
  • TSEM4002 · Table of destinations - ICTA 1988 to ITTOIA
  • TSEM4003 · Table of origins ITTOIA to ICTA 1988
  • TSEM4004 · Customer request for clearance, approval or advice
  • TSEM4005 · Introduction to the settlements legislation
  • TSEM4010 · ITTOIA/Part 5, Chapter 5 and the settlements legislation
  • TSEM4015 · Effects of the settlements legislation
  • TSEM4016 · Effects of the settlements legislation - corporate settlors
  • TSEM4017 · Calculation of Income - ITTOIA/S623
  • TSEM4020 · Transfer of assets abroad
  • TSEM4100 · Definition of settlement
  • TSEM4105 · Interpretation of statutory definition of settlement
  • TSEM4110 · Scope of statutory definition of settlement
  • TSEM4120 · Definition of settlor
  • TSEM4125 · Settlor - reciprocal arrangement
  • TSEM4130 · Settlor - reciprocal arrangement: enquiry
  • TSEM4200 · Settlor retains an interest
  • TSEM4205 · Settlor retains an interest - exceptions - outright gifts between spouses or civil partners
  • TSEM4206 · Settlor retains an interest - exceptions - certain types of income
  • TSEM4207 · Settlement legislation: settlor retains an interest - exceptions - gifts to charities
  • TSEM4210 · Settlements - look at the whole arrangement
  • TSEM4215 · Partnerships
  • TSEM4220 · About dividend waivers
  • TSEM4225 · Dividend waiver: when settlements legislation may apply
  • TSEM4300 · Settlement for unmarried minor child: settlements legislation
  • TSEM4305 · Settlement for unmarried minor child: settlements made before 9 March 1999
  • TSEM4310 · Settlement for unmarried minor child: income less than £100
  • TSEM4320 · Summary - application to non-trust situations
  • TSEM4325 · Summary - factors to look for
  • TSEM4355 · Summary - additional examples where settlements legislation does not apply
  • TSEM4400 · Capital sums paid to settlor: ITTOIA/S633
  • TSEM4402 · Capital sums paid to settler: Submissions to Trusts Technical
  • TSEM4405 · Capital sum paid to settlor: outline of ITTOIA/S641
  • TSEM4410 · Capital sums paid to settler: instructions about ITTOIA/S641
  • TSEM4415 · Capital sums paid to settlor: Tax Return
  • TSEM4500 · Settlor's right of recovery of tax
  • TSEM4505 · Certification under ITTOIA/S646(2)
  • TSEM4510 · Wording of certificate under ITTOIA/S646(2)
  • TSEM4512 · Tax paid by trustees where income is treated as that of the settlor
  • TSEM4513 · Tax paid by trustees where trust is not wholly settlor interested
  • TSEM4515 · Certificate under TCGA/S78
  • TSEM4520 · Certificate under ITTOIA/S538
  • TSEM4550 · Trustee or beneficiary entitled to share tax repayment
  • TSEM4552 · About certification under ITTOIA/S646(6A)
  • TSEM4553 · Wording of certificate under ITTOIA/S646(6A)
  • TSEM4554 · Inheritance Tax implications of adjustments under ITTOIA/S646(6A)
  • TSEM4555 · More than one settlor
  • TSEM4565 · Appeals representation
  • TSEM4570 · Treatment of income in hands of beneficiary
  • TSEM4573 · Taxing income on settlor
  • TSEM4575 · How settlor returns income
  • TSEM4600 · Rules affecting non-domiciled and deemed domiciled settlors of non-resident trusts from 6 April 2017-5 April 2025: Contents
  • TSEM4700 · TSEM 4700 – Settlements Legislation: Rules affecting non-domiciled and deemed domiciled settlors of non-resident trusts from 6 April 2025: Contents  
  1. Settlements legislation: contents
  2. Settlements legislation: capital sums paid to settlor: ITTOIA/S633

TSEM4400 | Settlements legislation: capital sums paid to settlor: ITTOIA/S633

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

ITTOIA/S633

The legislation in ITTOIA/S633 prevents certain arrangements that would allow a settlor to enjoy the income of a settlement without attracting further tax liability.

Where there is available undistributed income in a settlement and a capital sum is paid directly or indirectly for the benefit of the settlor, spouse or civil partner by the trustees, the payment is treated as the income of the settlor. The amount treated as the income of the settlor is restricted to the amount of the available undistributed income in the settlement.

‘Capital sum’ includes a loan or repayment of a loan or any other sum (other than income) which is not paid for full consideration.

Example 24 - loan from trustees to settlor

X puts £200,000 into a discretionary trust in favour of her minor children on 1 May 2007. The money is invested and income arises as follows.

Income amount and year-rate of taxTotal tax
2007-08 Income £15,000Charged£1,000 @ 20% and £14,000 @ 40%£5,800
2008-09 Income £20,000Charged£1,000 @ 20% and £19,000 @ 40%£7,800
2009-10 Income £15,000Charged£1,000 @ 20% and £14,000 @ 40%£5,800
2010-11 Income £12,000Charged£1,000 @ 20% and £11,000 @ 50%£5,700

No payments are made to the children so no income is treated as the income of X under ITTOIA/S629 (see TSEM4300). On 1 May 2010 X borrows £30,000 from the trustees. X is liable to income tax at the additional rate of 50%.

The undistributed income of the trustees is £36,900 (£62,000 less the tax of £25,100 paid on that income). As the amount borrowed is less than the undistributed income of the trust we would treat the loan as the income of X.

The income tax charge on the settlor is based on treating the amount of the loan as income after deduction of tax at the trust rate. The grossed up amount is chargeable to income tax at the settlor’s marginal rate of tax but a notional credit is given for tax at the trust rate in force for the years in which the income arose to the trustees. The loan is matched with income of earlier years first.

Calculation of tax dueAmount and tax rateTotal
Loan to settlor-£30,000
Grossed up @ trust rate-£60,000
Tax due£60,000 @ 50%£30,000
Less notional tax:--
Years to 2009 - 10:£50,000 @ 40%£20,000
2010 - 11£10,000 @ 50%£5,000
Total notional tax-£25,000
Tax due from settlor-£5,000

Internal users should submit certain potential ITTOIA/S633 cases to Trusts Technical - see TSEM4402.

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