| [s239] |
The
scheme administrator is liable to a charge to
income tax, known as the scheme sanction charge, in any tax year
that a
registered pension scheme makes one or more
scheme chargeable payments.
RPSM04104830 explains what a scheme
chargeable payment is.
A payment can be still classed as made by a scheme even if
the payment is made after the scheme has wound up. Under section
161(3) and (4) a payment is treated as having been made by a
registered pension scheme if the payment is made from an investment
acquired using funds held for the purposes of a registered pension
scheme even if that investment was acquired after the scheme wound
up.
Where a payment is treated as a payment from a scheme that
has wound up by virtue of section 161(3) and (4) the person liable
to the scheme sanction charge is the person(s) who was the scheme
administrator immediately before the scheme wound up.
A person is liable to the scheme sanction charge even if they
or any other person who is also liable to the scheme sanction
charge are not resident, ordinarily resident or domiciled in the
United Kingdom.
The amount of the scheme sanction charge is set out on
RPSM04104820.
RPSM04104831 gives an example.
| [s266A] |
A scheme administrator can claim relief from the scheme sanction charge where an amount is paid back (or transferred) to the scheme in specified circumstances. RPSM04104860 gives more information.
| [s268] |
A scheme administrator can apply to have their liability to be discharged in certain circumstances – see RPSM04104870.
| Glossary ( RPSM20000000) |