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Contents

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: tax paid by trustees where trust is not wholly settlor interested

TSEM4513 | Settlements legislation: tax paid by trustees where trust is not wholly settlor interested

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

Trust is partially settlor interested

The income tax paid by trustees for a tax year may be paid partly on income attributable to a settlor and partly on income from property from which a settlor is excluded from benefit. The tax paid on income attributable to the settlor does not enter the tax pool - see TSEM4512. Tax paid on other income enters the tax pool in the normal way - see TSEM3756 onwards,

Example

A settles property into the A discretionary settlement. The settlement consists of two funds.

Fund A contains a house which is let and a block of shares in A plc.

Fund B contains a block of shares in B plc.

Under the terms of the settlement the settlor and any spouse or civil partner of the settlor are excluded from benefiting from Fund B.

In 2023-2024 the income of the trustees (and tax paid on that income) is as follows:

Fund A

Income typeAmountTax due from trusteesTotal
Rental Income£10,000£1,000 @ 20%£200
--£9,000 @45%£4,050
Dividend Income£ 5,000£5,000 @ 39.35%£1,967.50
Tax paid--£6,217.50

The settlor is given credit for the tax paid on the income attributable to the settlor - £6,217.50. Where the tax paid by the trustees exceeds the settlor’s own income tax liability the tax may be repaid to the settlor.

Fund B

IncomeAmountTax dueTotal
Dividend Income£15,000£15,000 @ 39.35%£5,902.50
Tax paid--£5,902.50

As the settlor is excluded from benefiting from Fund B, this tax is not available to the settlor. The normal rules apply and £5,902.50 enters the tax pool.

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Trust ceases to be, or becomes, settlor interested

A trust may cease to be settlor interested part way through a tax year, for example when the settlor dies. Similarly, a trust may become settlor interested part way through a tax year, for example the settlor may marry or enter into a civil partnership with an existing beneficiary of the trust.

Where this happens, the tax paid by the trustees should be apportioned on a time basis so that part is available to cover the settlor’s liability and the other part dealt with in the normal way.

Example

In 2023-2024 the income of the trustees (and tax paid on that income) is as follows:

IncomeAmountTax due from trusteesTotal
Savings Income£10,0001,000 @ 20%£200
--9,000 @ 45%£4,050
Tax paid--£4,250

The settlor of the trust dies on 5 January 2024. The trust ceases to be settlor interested on that date because ITTOIA/S624 applies only to income arising under a settlement during the life on the settlor.

The settlor is taxed on £7,500 and is given credit for £3,187.50 (75% of £4,250).

The balance of the tax, £1062.50 goes into the tax pool.

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