Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Income Tax (Trading and Other Income) Act 2005

Crossheading Other income taxed as interest

  • Section 372 Building society dividends
  • Section 373 Open-ended investment company interest distributions
  • Section 374 Date when interest payments under section 373 made
  • Section 375 Interpretation of sections 373 and 374
  • Section 376 Authorised unit trust interest distributions
  • Section 377 Date when interest payments under section 376 made
  • Section 378 Interpretation of sections 376 and 377
  • Section 378A Offshore fund distributions
  • Section 379 Payments by registered societies or certain co-operatives
  • Section 380 Funding bonds
  • Section 380A FSCS payments representing interest
  • Section 381 Discounts
  1. Other income taxed as interest
  2. Interpretation of sections 373 and 374

Section 375 | Interpretation of sections 373 and 374

From legislation.gov.uk

(1)In sections 373 and 374 and this section—

“approved personal pension scheme” has the same meaning as in Chapter 4 of Part 14 of ICTA (see section 630(1) of that Act),

“distribution” includes investment on behalf of an owner of shares in respect of the owner's accumulation shares,

“distribution accounts” means the accounts showing how the total amount available for distribution to owners of shares is calculated,

“distribution period” means the period by reference to which that amount is ascertained,

“the OEIC Regulations” means the Open-ended Investment Companies (Tax) Regulations 1997 (S.I. 1997/1154),

“open-ended investment company” has the same meaning as in Chapter 3 of Part 12 of ICTA (unit trust schemes etc.) (see section 468(10) and (11) of ICTA, as inserted by regulation 10 of the OEIC Regulations),

“owner of shares” has the same meaning as in that Chapter (see section 468(10) and (15) of that Act, as so inserted), and

“umbrella company” has the meaning given by section 615 of CTA 2010.

(2)In subsection (1) “accumulation share” means a share in respect of which income is credited periodically to the capital part of the company's scheme property.

(3)In subsection (2) “scheme property” has the same meaning as in Chapter 3 of Part 12 of ICTA (unit trust schemes etc.) (see section 468(10) and (13) of ICTA, as inserted by regulation 10 of the OEIC Regulations).

PreviousNext
PrivacyTerms