RDRM35300 - Remittance Basis: Amounts Remitted: Mixed Funds: Example 3 - single remittance

Jeff’s overseas bank account

Applying the ordering rules in S809Q to the account

Jeff has his UK salary of £10,000 a month paid into an overseas bank account. He also has a salary for overseas employment and his net salary for that work of £5,000 a month is paid into the same bank account. Both salaries are paid on the last day of each month. Dividends from a shareholding in a foreign company are also paid into the account.

In Year 0, Jeff had purchased shares in a foreign company for £8m. The £8m is accepted as representing Jeff’s ‘clean’ capital, being perhaps an inheritance or similar such windfall. Jeff sells the shares in Year 2 for £10m, which produces a £2m chargeable gain.

Jeff’s remittances to the UK from this fund in Year 2 are £10m.

His UK salary is credited net of PAYE and NIC. His overseas salary is subject to a foreign tax deducted at source, and is credited net. His overseas dividends are credited net of overseas withholding taxes.

Jeff’s overseas bank account

Year 1 (2011-2012)

Date Descriptor Credit Debit Balance Category (s809Q(4))
31 March UK salary (net of tax) £10,000 - £10,000 Para (a)
31 March Overseas salary (net of tax) £5,000 - £15,000 Para (f)

Top of page

Year 2 (2012-2013)

Date Descriptor Credit Debit Balance Category (s809Q(4))
30 Apr UK salary £10,000 - £25,000 Para (a)
30 Apr Overseas Salary £5,000 - £30,000 Para (f)
15 May Dividend £2,000 - £32,000 Para (g)
31 May UK salary £10,000 - £42,000 Para (a)
31 May Overseas salary £5,000 - £47,000 Para (f)
18 June Sale of shares (£8m capital and £2m gain no deduction of foreign tax) £2,000,000 - £2,047,000 Para (e)
18 June As above £8,000,000 - £10,047,000 Para (i)
30 June UK salary £10,000 - £10,057,000 Para (a)
30 June Overseas salary £5,000 - £10,062,000 Para (f)
25 Jul Dividend £2,000 - £10,064,000 Para (g)
31 Jul UK salary £10,000 - £10,074,000 Para (a)
31 Jul Overseas salary £5,000 - £10,079,000 Para (f)
31 Jul Bank interest £5,000 - £10,084,000 Para (d)
14 Aug Transfer to UK account   £10,000,000 £84,000 -

Applying the ordering rules in S809Q to the account

Apply immediately before the transfer

Step 1

Identify the ‘amount of transfer’ in the relevant tax year (year 2) = £10,000,000

Analyse 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:

  • Para (a) employment income (including UK employment income) not subject to a foreign tax – year 1 £10,000, year 2 £40,000
  • Para (d) relevant foreign income (not subject to a foreign tax) – bank interest year 2 £5,000
  • Para (e) foreign chargeable gains (not subject to a foreign tax) – year 2 £2,000,000
  • Para (f) employment income subject to a foreign tax – year 1 £5,000, year 2 £20,000

  • Para (g) relevant foreign income subject to a foreign tax – foreign dividends, year 2 £4,000
  • Para (i) capital – capital from year 0 £8,000,000

Step 2

Identify the earliest paragraph from above for the relevant year (year 2), which has an amount of income or gain in the mixed fund – para (a) £40,000

Step 3

Where the amount of remittance is greater than the amount identified at step 2, the amount remitted is treated as reduced by the amount at step 2 - £10 million less £40,000 = £9,960,000.

Step 4

Find the next paragraph/amount for that tax year. In the order of preference listed above repeat steps 2 and 3.

Step 2 - para (d) £5,000

Step 3 - £9,955,000

Step 4

In the order of preference listed above repeat steps 2 and 3.

Step 2 – para (e) £2 million

Step 3 - £7,955,000

Step4

In the order of preference listed above repeat steps 2 and 3

Step 2 – para (f) £20,000

Step 3 - £7,935,000

Step 4

In the order of preference listed above repeat steps 2 and 3

Step 2 – para (g) £4,000

Step 3 - £7,931,000

At this point all of the income from year 2 has been matched against the remittance.

Step 5

If the amount of the transfer (as reduced under step 3), is not nil once steps 2 and 3 have been undertaken for all of the capital, income and gains of the relevant tax year, repeat the exercise using the income, capital and gains of the next earliest year (year 1).

Step 2 – para (a) £10,000

Step 3 - £7,921,000

Step 4

In the order of preference listed above repeat steps 2 and 3

Step 2 – para (f) £5,000

Step 3 - £7,916,000

At this point all of the income from year 1 has been matched against the remittance.

Step 5

If the amount of the transfer (as reduced under step 3), is not nil once steps 2 and 3 have been undertaken for all of the capital, income and gains of the relevant tax year, repeat the exercise using the income, capital and gains of the next earliest year (year 0).

Step 2

If the amount is more than the [residual] relevant amount, treat the whole of the remittance as coming from that item of income or gain. Para (i) £8 million

The result of this exercise is that:

  • All of Jeff’s UK salary in tax year 2 is deemed to have been brought to the UK first.
  • Similarly all of his foreign income and gains of tax year 2 are treated as remitted to the UK and chargeable to tax at the appropriate rates of tax - allowing credit for foreign taxes charged on that same income as appropriate.
  • Jeff’s income of Year 1 is also matched against the remittance.
  • £7,916,000 capital has also been brought to the UK.

Until such time as further amounts of income and gains are credited to the overseas account, the mixed fund contains £84,000 of capital from Year 0 (from the sale of shares).

Refer to RDRM35310 example 3 (continuation) remittance of funds covering two years