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Official guidance
Trusts, Settlements and Estates Manual

TSEM7675 · Deceased persons: interests in residue - practical and computational aspects

  • TSEM7676 · Deceased persons: interests in residue: practical and computational aspects: introduction
  • TSEM7678 · Deceased persons: interests in residue: practical and computational aspects - residuary income
  • TSEM7680 · Deceased persons: interests in residue: practical and computational aspects - United Kingdom estates
  • TSEM7682 · Deceased persons: interests in residue: practical and computational aspects - foreign estates
  • TSEM7684 · Deceased persons: interests in residue: practical and computational aspects - tax rules for United Kingdom estates
  • TSEM7686 · Deceased persons: interests in residue: practical and computational aspects - underlying source of income
  • TSEM7688 · Deceased persons: interests in residue: practical and computational aspects - special reliefs for higher rate taxpayers
  • TSEM7690 · Deceased persons: interests in residue: practical and computational aspects - excess expenses
  • TSEM7692 · Deceased persons: interests in residue: practical and computational aspects - time limit
  • TSEM7750 · Deceased persons: interests in residue: practical and computational aspects - death of beneficiary
  • TSEM7752 · Deceased persons: interests in residue: practical and computational aspects - Apportionment Act 1870
  • TSEM7754 · Deceased persons: interests in residue: practical and computational aspects - legal rights in Scotland
  • TSEM7756 · Deceased persons: interests in residue: practical and computational aspects - where to get further help
  1. Deceased persons: interests in residue - practical and computational aspects: contents
  2. Deceased persons: interests in residue: practical and computational aspects - foreign estates

TSEM7682 | Deceased persons: interests in residue: practical and computational aspects - foreign estates

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

Where a beneficiary has an absolute limited or discretionary interest in a foreign estate the deemed income is assessable as income from foreign securities. This means that there can be basic rate as well as higher rate liability.

The beneficiary will not be entitled to claim a repayment of tax in respect of an interest in a foreign estate.

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