In calculating the taxable loan relationships credit on the death of the life assured, the excess of the lump sum payout on death over the surrender value of the insurance contract immediately before the date the sum becomes payable is not brought into account. This ensures that the mortality gain is not taxable.
Similarly, the morbidity gain is not taxable. In calculating the taxable loan relationships credit on a lump sum payout on the onset of critical illness, the excess of the lump sum over the surrender value immediately before the time that the sum becomes payable is not brought into account.
This will depend on the terms of the particular insurance
contract and it is not possible to give definitive guidance on this
here. It will depend on the claims procedure and, in particular,
how claims are established.
For death cases, it is likely to be the date of death if it
follows from the contract terms that the claim is established from
the date of death.
For claims on critical illness, it may depend on when the
claim is established under the terms of the contract.
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