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Legislation
Income Tax (Trading and Other Income) Act 2005

Crossheading Transitional provision about protected foreign-source income and transitional trust income

  • Section 643ZA “Protected foreign-source income” and “transitional trust income”
  • Section 643ZB Protected foreign-source income and transitional trust income not to be taxed elsewhere in Chapter
  • Section 643A Benefits paid out of protected foreign-source income or transitional trust income
  • Section 643B Meaning of “untaxed benefits total” in section 643A
  • Section 643C Meaning of “available protected income” in section 643A
  • Section 643D Reduction in section 643A income: previous capital gains tax charge
  • Section 643E Reimbursement of tax paid by settlor because of section 643B(2)
  • Section 643EA Onward gifts from non-residents or qualifying new residents
  • Section 643F Income attributed by section 643A to user of remittance basis
  • Section 643G Section 643F(4): benefits and income “relating” to deemed income
  • Section 643H Meaning of close member of settlor's family in sections 643A to 643EA
  • Section 643I Recipients of onward gifts
  • Section 643J Cases where income treated as arising to recipient of onward gift
  • Section 643K Cases where deemed income attributed to recipient of onward gift
  • Section 643L Cases where settlor liable following onward gift
  • Section 643M Onward gift to settlor or close family member by other recipient
  • Section 643N Person liable under section 643J or 643L and remittance basis applied
  1. Transitional provision about protected foreign-source income and transitional trust income
  2. “Protected foreign-source income” and “transitional trust income”

Section 643ZA | “Protected foreign-source income” and “transitional trust income”

From legislation.gov.uk

(1)In this Chapter—

“protected foreign-source income” means income that—

arose under a settlement in any of the tax years 2017-18 to 2024-25, and

was protected foreign-source income for that tax year within the meaning of section 628A (as that section had effect for that tax year).

“transitional trust income” means income that—

arose under a settlement in any of the tax years 2008-09 to 2016-17, and

was transitional trust income throughout the tax years 2017-18 to 2024-25 within the meaning of section 628C (as that section had effect for those tax years).

(2)For the purposes of subsection (1) ignore section 648(3) to (5) (foreign income treated as arising under settlement only if and when remitted).

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