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Contents

Official guidance
Trusts, Settlements and Estates Manual

TSEM5700 · Trusts for particular purposes: flat management companies: contents

  • TSEM5705 · Trusts for particular purposes: flat management companies - service charge funds and sinking funds: background
  • TSEM5710 · Trusts for particular purposes: flat management companies - S42 Landlord and Tenant Act 1987
  • TSEM5712 · Trusts for particular purposes: flat management companies - deduction of tax from interest received
  • TSEM5715 · Trusts for particular purposes: flat management companies - scope of S42 Landlord and Tenant Act 1987
  • TSEM5720 · Trusts for particular purposes: flat management companies - funds created
  • TSEM5725 · Trusts for particular purposes: flat management companies - tenants of rented property
  • TSEM5730 · Trusts for particular purposes: flat management companies - leaseholder owners of property
  • TSEM5735 · Trusts for particular purposes: flat management companies - freehold owners of property
  • TSEM5740 · Trusts for particular purposes: flat management companies - registered social landlords and other ‘exempt landlords’
  • TSEM5745 · Trusts for particular purposes: flat management companies - 'exempt landlords' - S58 LTA 1987
  • TSEM5750 · Trusts for particular purposes: flat management companies - funds not within S42 LTA 1987
  • TSEM5752 · Trusts for particular purposes: flat management companies not within S42 LTA 1987 - definition of ‘relevant housing body’
  • TSEM5755 · Trusts for particular purposes: flat management companies - investment income previously charged to corporation tax
  • TSEM5760 · Trusts for particular purposes: flat management companies - notification from company's tax office
  • TSEM5765 · Trusts for particular purposes: flat management companies - notification from trustee and liaison with company's tax office
  1. Trusts for particular purposes: flat management companies: contents
  2. Trusts for particular purposes: flat management companies - deduction of tax from interest received

TSEM5712 | Trusts for particular purposes: flat management companies - deduction of tax from interest received

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

Where a company receives interest on service charges it does so as a trustee because Section 42 LTA 1987 says the income is held on trust for the benefit of the tenants for the time being. The company is therefore receiving income in a representative capacity and it is not within the charge to corporation tax in respect of the income.

Trustees, whether they are individuals or companies are charged to income tax on their income. Up until 2015-16 the law on ‘relevant investments’ for banks and building societies required the deduction of tax from payments of interest to trustees. The position changed from 2016-17 onwards and tax is no longer deducted at source by the banks and building societies.

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