Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Income Tax Act 2007

Crossheading Special rules for investment bond arrangements

  • Section 564R Treatment of discount
  • Section 564S Treatment of bond-holder and bond-issuer
  • Section 564T Treatment as securities
  • Section 564U Arrangements not unit trust scheme or offshore fund
  1. Special rules for investment bond arrangements
  2. Treatment of bond-holder and bond-issuer

Section 564S | Treatment of bond-holder and bond-issuer

From legislation.gov.uk

(1)This section applies for the purposes of the Income Tax Acts and irrespective of the position for other purposes.

(2)The bond-holder under investment bond arrangements is not treated as having a legal or beneficial interest in the bond assets.

(3)The bond-issuer under such arrangements is not treated as a trustee of the bond assets.

(4)Profits accruing to the bond-issuer in connection with the bond assets are profits of the bond-issuer and not of the bond-holder (and do not arise to the bond-issuer in a fiduciary or representative capacity).

(5)Payments made by the bond-issuer by way of redemption payment or additional payment are not made in a fiduciary or representative capacity.

(6)The bond-holder is not entitled to relief for capital expenditure in connection with the bond assets.

(7)Expressions used in this section have the same meaning as in section 564G.

PreviousNext
PrivacyTerms