ÀÏ˾»úÎçÒ¹¸£Àû

Foreign income

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance

Foreign income

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance
imgtext

General principles relating to foreign trust income

This guidance note deals with foreign income received by a UK resident trust. For the position relating to non-UK resident trusts, see the UK tax position of non-resident trusts guidance note.

Foreign income is income arising from a source outside the UK. Foreign investment income includes interest payable by an overseas bank or dividends paid by a non-UK company.

As a general rule, all categories of foreign income are taxed under the same provisions as apply to UK equivalents. However, there are some provisions relating specifically to foreign income which are discussed in this guidance note.

Note that rental income from foreign land constitutes an ‘overseas property business’ which is taxed separately from a UK property business. See the Property income guidance note

A UK resident trust pays tax on all its foreign income on an arising basis, except where the beneficiary is absolutely entitled to the income and is either:

  1. •

    non-resident, or

  2. •

    non-domiciled and a remittance basis user for the year in question

A

Continue reading the full document
To gain access to additional expert tax guidance, workflow tools, and tax research, register for a free trial of Tolley+â„¢
Powered by

Popular Articles

Settlor-interested trusts

Settlor-interested trustsWhat is a settlor-interested trust?A settlor-interested trust is one where the person who created the trust, the settlor, has kept for himself some or all of the benefits attaching to the property which he has given away. A straightforward example is where a settlor

14 Jul 2020 13:38 | Produced by Tolley Read more Read more

Exporting goods ― proof of export

Exporting goods ― proof of exportIn addition to the requirements laid down in the Exporting goods ― overview guidance note, businesses intending to zero-rate exported goods must hold satisfactory evidence that the goods have been delivered to a destination outside of the UK. If satisfactory evidence

15 Dec 2020 14:02 | Produced by Tolley Read more Read more

Holdover relief for disposals by trustees

Holdover relief for disposals by trusteesOverviewWhere a capital gain has been realised on an asset that has been disposed of and that disposal was not for full value (that is not in an arm’s length sale) then holdover relief may be available. This will happen when trustees appoint capital assets

14 Jul 2020 11:54 | Produced by Tolley Read more Read more