RDRM35430 - Remittance Basis: Amounts Remitted: Offshore Transfers: Composition of a mixed fund - offshore transfers - Example 1 - purchase of asset
Details of Ahmid鈥檚 bank account in the Isle of Man
Working this through this example
Immediately before the offshore transfer the mixed fund consists of the following
Immediately before the transfer the mixed fund consists of
Example 1 - purchase of asset
Ahmid, a remittance basis user has a bank account in the Isle of Man into which is paid both UK source (taxed) income and his foreign income and gains. Ahmid makes regular transfers from this account to his UK account to meet his UK living expenses.
Details of Ahmid鈥檚 bank account in the Isle of Man
Date | Type of income | Credit | Debit | Balance | Category S809Q(4) | Note |
---|---|---|---|---|---|---|
10 April | XYZ (CI) Ltd - proceeds from sale of shares | 拢1,000,000 | - | - | e | 1 |
15 April | Relevant foreign income - offshore dividend | 拢10,000 | - | 拢1,010,000 | g | - |
30 April | UK salary | 拢10,000 | - | 拢1,020,000 | a | 2 |
30 April | Bank interest | 拢5,000 | - | 拢1,025,000 | d | - |
30 April | Overseas salary | 拢5,000 | - | 拢1,030,000 | f | - |
3 May | Transfer to UK account | - | 拢5,000 | 拢1,025,000 | - | 2 |
15 May | Offshore dividend | 拢2,000 | - | 拢1,027,000 | g | - |
31 May | UK salary | 拢10,000 | - | 拢1,037,000 | a | - |
31 May | Overseas salary | 拢5,000 | - | 拢1,042,000 | f | - |
31 May | ABC (IoM) Ltd - purchase of shares in foreign company | - | 拢1,000,000 | 拢42,000 | - | 3 |
3 June | Transfer to UK account | - | 拢5,000 | 拢37,000 | - | 4 |
30 June | UK salary | 拢10,000 | - | 拢47,000 | a | - |
30 June | Overseas salary | 拢5,000 | - | 拢52,000 | f | - |
3 July | Transfer to UK account | - | 拢5,000 | 拢47,000 | - | 5 |
31 July | UK salary | 拢10,000 | - | 拢57,000 | a | - |
31 July | Overseas salary | 拢5,000 | - | 拢62,000 | f | - |
3 Aug | Transfer to UK account | - | 拢5,000 | 拢57,000 | - | 6 |
15 Aug | Cheque - ZZZ Cars Ltd London | - | 拢25,000 | 拢32,000 | - | 7 |
Note 1 - The sale price of the shares includes a gain over the original purchase price of 拢150,000 that has not been taxed. The purchase was made long before 6 April 2008 and was made using accumulated foreign income and gains which were treated as clean capital.
The mixed fund provisions do not apply to foreign income or gains that arose or accrued before 6 April 2008 (Sch 7 FA2008 para 89). This means that it is not possible to apply the 鈥榤ixed fund鈥� rules to the 拢850,000 used to buy the shares.
Note 2 - Using the ordering rules at ITA07 s809Q(1), the remittance to the UK on 3 May is matched against the UK salary from that tax year credited to the account on 30 April, as this is the 鈥榚arliest paragraph鈥� of income or gains within the mixed fund.
Working this through this example
The 拢5,000 transfer to the UK on 3 May is a 鈥榯ransfer鈥� from a mixed fund within section 809Q. Applying the ordering rules in that section, and analysing the mixed fund to identify the separate amounts of income, capital gains and capital in the account for each tax year immediately before the date of the transfer:
s809Q para | Type of income | Amount |
---|---|---|
Para (a) | Employment Income | 拢10,000 |
Para (d) | RFI | 拢5,000 |
Para (e) | Chargeable gains | 拢150,000 |
Para (f) | Earnings subject to a foreign tax | 拢5,000 |
Para (g) | RFI subject to tax | 拢10,000 |
Para (i) | Income or capital not within another paragraph | 拢850,000 |
The remittance is regarded as coming from the 鈥榚arliest paragraph鈥�, that is Para (a), so the 拢5,000 is UK employment income. Although money has been brought into the UK, there is no taxable remittance as the money has already been taxed.
Note 3 - The purchase of shares on 31 May is an 鈥榦ffshore transfer鈥�; by the end of the tax year the shares purchase have not, nor on best estimate are they likely to be, a remittance transfer so that s809Q applies.
The account is treated as including the amounts of foreign income and gain that were present immediately before the transfer (ITA07 s809R(4)). The transfer has no effect on the amount remitted in the current tax year but may need to be taken into account in a later tax year.
Immediately before the offshore transfer the mixed fund consists of the following
s809Q para | Type of income | Amount |
---|---|---|
Para (a) | Employment Income | 拢15,000 |
Para (d) | RFI | 拢5,000 |
Para (e) | Chargeable gains | 拢150,000 |
Para (f) | Earnings subject to a foreign tax | 拢10,000 |
Para (g) | RFI subject to tax | 拢12,000 |
Para (i) | Income or capital not within another paragraph | 拢850,000 |
- | - | 拢1,042,000 |
The offshore transfer consists of an appropriate proportion of each kind of income, gain or capital, within the mixed fund.
s809Q para | Type of income | Amount |
---|---|---|
Para (a) | Employment Income | 拢14,396 |
Para (d) | RFI | 拢4,798 |
Para (e) | Chargeable gains | 拢143,953 |
Para (f) | Earnings subject to a foreign tax | 拢9,597 |
Para (g) | RFI subject to tax | 拢11,517 |
Para (i) | Income or capital not within another paragraph | 拢815,739 |
- | - | 拢1,000,000 |
Note 4 - The 拢5,000 transfer on 3 June to the UK is a 鈥榯ransfer鈥� to the UK from a mixed fund, and is within s809Q(1). Applying the ordering rules in that section, and analysing the mixed fund to identify the separate amounts of income, capital gains and capital present for each tax year immediately before the date of the transfer:
s809Q para | Type of income | Amount |
---|---|---|
Para (a) | Employment Income | 拢604 |
Para (d) | RFI | 拢202 |
Para (e) | Chargeable gains | 拢6,047 |
Para (f) | Earnings subject to a foreign tax | 拢403 |
Para (g) | RFI subject to tax | 拢483 |
Para (i) | Income or capital not within another paragraph | 拢34,261 |
The transfer is regarded as coming from each of the paragraphs in order; that is 拢604 from Para (a), and a taxable remittance of 拢4,396, being 拢202 from Para (d) and 拢4,194 from Para (e).
Note 5 and 6 - Both of these 拢5,000 transfers are to the UK. There have been credits to the fund between the last transfer (Note 4) and this transfer and the fund now contains some employment income (Para a) and additional amounts of foreign earning subject to foreign tax (Para f) in addition to the residue following the last transfer.
The 拢5,000 transfers made on 3 July and 3 August are regarded as coming from the 鈥榚arliest paragraph鈥� of income, that is Para (a) - 拢10,000 of UK employment income credited to the account on 30 June.
Note 7 - The cheque remittance on 15 August is 拢25,000. This amount was used to buy a car from a UK company. This is also a remittance within s809Q.
Immediately before the transfer the mixed fund consists of
s809Q para | Type of income | Amount |
---|---|---|
Para (a) | Employment Income | 拢10,000 |
Para (d) | RFI | 拢苍颈濒 |
Para (e) | Chargeable gains | 拢1,853 |
Para (f) | Earnings subject to a foreign tax | 拢10,403 |
Para (g) | RFI subject to tax | 拢483 |
Para (i) | Income or capital not within another paragraph | 拢34,261 |
The cheque remittance is regarded as coming from each of the paragraphs in order; that is 拢10,000 from Para (a), 拢1,853 from Para (e) and 拢10,403 from Para (f), 拢483 from Para (g) and 拢2,261 from Para (i).
The remaining 拢32,000 at 15 August is also within Para (i)
Refer to example 1 continuation