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Legislation
Finance (No. 3) Act 2010

Crossheading Income tax and corporation tax

  • Section 1 Shared lives care
  • Section 2 Payments to special guardians and those in receipt of residence orders
  • Section 3 Qualifying care relief: capital allowances
  • Section 4 Seafarers' earnings
  • Section 5 Venture capital schemes
  • Section 6 Enterprise management incentives
  • Section 7 Settlor to return excess repayment to trustees etc
  • Section 8 Collection of income tax where sum deducted by payer
  • Section 9 Company distributions
  • Section 10 REITs: stock dividends
  • Section 11 Financing costs and income of group companies
  • Section 12 Consortium claims for group relief
  • Section 13 R&D relief for SMEs: removal of intellectual property condition
  • Section 14 Film tax credit: unused losses
  • Section 15 Insurance business transfer schemes: non-profit fund transferred assets
  1. Income tax and corporation tax
  2. Settlor to return excess repayment to trustees etc

Section 7 | Settlor to return excess repayment to trustees etc

From legislation.gov.uk

(1)Section 646 of ITTOIA 2005 (adjustments between settlor and trustees etc) is amended as follows.

(2)For subsection (4) substitute—

(4)Subsection (5) applies if a settlor chargeable to tax under section 624 or 629 obtains a repayment by reason of the payment of the tax by—

(a)any trustee, or

(b)any other person to whom the income is payable by virtue of or as a result of the settlement.

(3)In subsection (5), for “excess” substitute “ repayment ”.

(4)After subsection (6) insert—

(6A)For the purpose of subsection (5), the settlor may require an officer of Revenue and Customs to provide the settlor with a certificate specifying—

(a)that the settlor has obtained a repayment as mentioned in subsection (4), and

(b)the amount of the repayment.

(6B)A certificate provided under subsection (6A) is conclusive evidence of the facts stated in it.

(5)In subsection (7), for “Any” substitute “ Subject to subsections (6A) and (6B), any ”.

(6)The amendments made by this section have effect in relation to repayments of tax for the tax year 2010-11 or any subsequent tax year.

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