Difference between revisions of "Main Page"
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:38 [[Transfer of Assets Abroad: Motive Defence]] | :38 [[Transfer of Assets Abroad: Motive Defence]] | ||
− | :39 [[ | + | :39 [[Profit Fragmentation]] |
− | :40 [[ | + | :40 [[Life Policies and Contracts]] |
− | :41 [[Offshore | + | :41 [[Offshore Funds: Definition]] |
− | :42 [[ | + | :42 [[Offshore Income Gains]] |
− | :43 [[ | + | :43 [[Income from Offshore Funds]] |
− | :44 [[ | + | :44 [[Accrued Income Profits]] |
− | :45 [[ | + | :45 [[Deeply Discounted Securities]] |
− | :46 [[Intermediated Securities]] | + | :46 [[Unit Trusts]] |
+ | |||
+ | :48 [[Intermediated Securities]] | ||
:47 [[Partnerships]] | :47 [[Partnerships]] | ||
− | : | + | :49 [[Non-Residents Income Tax Relief]] |
− | : | + | :50 [[Collection of Tax from UK Representatives]] |
− | : | + | :51 [[Investment Manager Exemptions]] |
− | : | + | :52 [[Investment Management Fees & Carried Interest]] |
− | : | + | :53 [[Loans from Non-Resident Companies]] |
− | : | + | :54 [[Transactions in Securities]] |
− | : | + | :55 [[Rates of Tax]] |
− | : | + | :56 [[Personal Allowances]] |
− | : | + | :57 [[National Insurance Contributions]] |
− | : | + | :58 [[Chargeable Gains]] |
− | : | + | :59 [[UK Property Held by Non-Residents]] |
− | : | + | : [[Gains of UK Residents]] (60) Private Residence relief (tba) |
− | : | + | :61 [[Gains of Non-Resident Settlor-Interested Trusts: s.86]] |
− | : | + | :62 [[Capital Payments from Non-Resident Trusts: s.87]] |
− | : | + | :63 [[Borrowing by Non-resident Trust: Sch 4B]] |
− | : | + | :64 [[Protected Trust Reliefs]] |
− | : | + | :65 [[Sub-Funds]] |
− | : | + | :66 [[Gains of Non-Resident Companies]] |
− | : | + | :67 [[Capital Losses]] |
− | : | + | :68 [[Foreign Currency Issues]] |
− | : | + | :69 [[Unremittable Assets]] |
− | : | + | :70 [[Double Taxation Arrangements: Introduction]] |
− | : | + | :71 [[DTA Anti-abuse Rules]] |
− | : | + | :72 [[Foreign Tax Credit Relief]] |
− | : | + | :73 [[EU Law and UK Taxation]] |
− | : | + | :74 [[Excluded Property: Definition]] |
− | : | + | :75 [[Excluded Property Exemptions]] |
− | : | + | :76 [[Wills and IOVs]] |
− | : | + | :77 [[Reservation of Benefit]] |
− | : | + | :78 [[Inter-Trust Transfers: IHT]] |
− | : | + | :79 [[IHT Deduction for Debts]] |
− | : | + | :80 [[IHT Double Taxation Treaties: Introduction]] |
− | : | + | :81 [[IHT DTAs: India, Pakistan, Italy, France]] |
− | : | + | :82 [[IHT DTA: Netherlands]] |
− | : | + | :83 [[IHT DTA: Switzerland]] |
− | : | + | :84 [[IHT DTA: USA]] |
− | : | + | :85 [[Foreign IHT Credit Relief]] |
− | : | + | :86 [[Non-dom/Non-resident Spouse]] Marriage to Non-dom or Non-resident |
− | : | + | :87 [[Family Home and Chattels: Benefit in Kind Charges]] |
− | : | + | :88 [[Residential property: IHT]] |
− | : | + | :89 [[Pre-Owned Assets]] |
− | : | + | :90 [[Joint Accounts]] |
− | : | + | :91 [[ATED Taxes]] |
− | : | + | :92 [[Estates of Deceased Persons: CGT]] |
− | : | + | :93 [[Estates of Deceased Persons: Income Tax]] |
− | : | + | :94 [[Who is the Settlor?]] |
− | : | + | :95 [[Trusts with Two or More Settlors]] |
− | : | + | :96 [[Situs of Assets for IHT]] |
− | : | + | :97 [[Situs of Assets for CGT]] |
− | : | + | :98 [[Foreign Entities]] |
− | : | + | :99 [[Hybrid Entities]] |
− | : | + | :100 [[Control Connected Close and Related Expressions]] |
− | : | + | :101 [[Permanent Establishment and Branch/Agency]] |
− | : | + | :102 [[Reporting and Compliance]] |
− | : | + | :new [[Claims]] |
− | : | + | :103 [[Reporting and compliance: IHT]] |
− | : | + | :104 [[Reporting Beneficial Owners]] |
− | : | + | :105 [[Disclosure of Offshore Trusts]] Reporting Offshore Trusts |
+ | |||
+ | :106 [[Requirement to Correct]] | ||
+ | |||
+ | :107 [[Criminal Law and Professional Conduct]] | ||
− | |||
− | |||
<big>'''Appendices'''</big> | <big>'''Appendices'''</big> | ||
− | :[[Appendix 1: Common Expressions]] | + | :[[Appendix 1: Common Expressions]] |
− | :[[Appendix | + | :[[Appendix 2: Family Terminology]] |
− | :[[Appendix | + | :[[Appendix 3: Consideration, Arm's Length/Full Value]] |
:[[Appendix 3: Associated Operations: IHT]] | :[[Appendix 3: Associated Operations: IHT]] | ||
− | :[[Appendix | + | :[[Appendix 5: Construction of Deeming Provisions]] |
− | :[[Appendix | + | :[[Appendix 6: What Do We Mean by "Real"?]] |
− | :[[Appendix | + | :[[Appendix 7: Parliamentarians]] |
− | :[[Appendix | + | :[[Appendix 8: Visiting Forces]] |
− | :[[Appendix | + | :[[Appendix 9: How to Improve Residence and Domicile Taxation]] |
− | :[[Appendix | + | :[[Appendix 10: Reform of Offshore Anti-avoidance Rules]] |
− | :[[Appendix | + | :[[Appendix 11: UK Arrival or Departure: Tax Checklist]] |
+ | |||
+ | :[[Appendix 12: The Wisdom of Parliament]] | ||
+ | |||
+ | ===Ref=== | ||
:[[Appendix 11: Welsh Devolution]] | :[[Appendix 11: Welsh Devolution]] | ||
− | :[[ | + | :83 [[Private Residence Relief]] |
+ | |||
+ | :84 [[Residential Property of Non-Residents: NRCGT]] | ||
Revision as of 15:35, 28 March 2019
This site provides comprehensive information about:
- Taxation of foreign domiciliaries
- Taxation of non-residents on UK income and assets
- Taxation of UK residents on foreign income and assets
It is the online version of Taxation of Non-Residents and Foreign Domiciliaries by James Kessler QC.
Contents
- 3 Domicile
- 11 Source/Relevant Foreign Income [tba]
- 15 Mixed Funds
- 18 Performers
- 28 PAYE
- 46 Unit Trusts
- 47 Partnerships
- 55 Rates of Tax
- Gains of UK Residents (60) Private Residence relief (tba)
- 65 Sub-Funds
- 84 IHT DTA: USA
- 86 Non-dom/Non-resident Spouse Marriage to Non-dom or Non-resident
- 91 ATED Taxes
- new Claims
- 105 Disclosure of Offshore Trusts Reporting Offshore Trusts
Appendices
Ref
New 2019/20 edition now out
The new 2019/20 edition of Taxation of Non-residents and Foreign Domiciliaries is now out.
The online edition will be published on Monday 1 April.
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Licences for the current edition will not be valid from 1 April 2019.
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Without logging in, you can access: chap 1 Foreign Domicile: Tax Policy; chap 2 Tax Avoidance.
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Archive editions
There are archive editions for years since 2003/04. These will occasionally be useful to investigate the tax position in earlier years, but the current edition will generally be the best starting point, as that has been written in the light of current HMRC guidance, and further thought and research.
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