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Legislation
Income Tax Act 2007

Crossheading Deposit-takers and relevant investments

  • Section 853 Meaning of “deposit-taker”
  • Section 854 Power to prescribe persons as deposit-takers
  • Section 855 Meaning of “investment” and “deposit”
  • Section 856 Investments which are relevant investments
  • Section 857 Investments to be treated as being or as not being relevant investments
  1. Deposit-takers and relevant investments
  2. Investments which are relevant investments

Section 856 | Investments which are relevant investments

From legislation.gov.uk

(1)An investment is a relevant investment for the purposes of section 876 if it meets—

(a)the individual interest condition (see subsection (3)),

(b)the Scottish partnership condition (see subsection (4)),

(c)the personal representative condition (see subsection (5)), or

(d)the settlement condition (see subsection (6)).

(2)But an investment is not a relevant investment if any of sections 863 to 870 prevent it from being a relevant investment.

(3)An investment meets the individual interest condition if the only persons beneficially entitled to interest on the investment are individuals.

(4)An investment meets the Scottish partnership condition if—

(a)a Scottish partnership is beneficially entitled to all interest on the investment, and

(b)that partnership consists only of individuals.

(5)An investment meets the personal representative condition if personal representatives are entitled to any interest on the investment and they receive it in that capacity.

(6)An investment meets the settlement condition if all interest on the investment is income arising to the trustees of a discretionary or accumulation settlement and they receive it in that capacity.For the meaning of “discretionary or accumulation settlement”, see section 873(1).

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