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Legislation
Income Tax (Trading and Other Income) Act 2005

Crossheading Income treated as income of settlor: retained interests

  • Section 624 Income where settlor retains an interest
  • Section 625 Settlor's retained interest
  • Section 626 Exception for outright gifts between spouses or civil partners
  • Section 627 Exceptions for certain types of income
  • Section 628 Exception for gifts to charities
  • Section 628A Exception for protected foreign-source income
  • Section 628B Section 628A: tainting
  • Section 628C Foreign income arising before, but remitted on or after, 6 April 2017
  1. Income treated as income of settlor: retained interests
  2. Exception for outright gifts between spouses or civil partners

Section 626 | Exception for outright gifts between spouses or civil partners

From legislation.gov.uk

(1)The rule in section 624(1) does not apply in respect of an outright gift—

(a)of property from which income arises,

(b)made by one spouse to the other or one civil partner to the other , and

(c)meeting conditions A and B.

(2)Condition A is that the gift carries a right to the whole of the income.

(3)Condition B is that the property is not wholly or substantially a right to income.

(4)A gift is not an outright gift for the purposes of this section if—

(a)it is subject to conditions, or

(b)there are any circumstances in which the property, or any related property—

(i)is payable to the giver,

(ii)is applicable for the benefit of the giver, or

(iii)will, or may become, so payable or applicable.

(5)“Related property” has the same meaning in this section as in section 625.

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