IPTM4200 - Purchased life annuities: different types of annuity: annuities certain
Annuities certain provide a series of payments, usually in
return for a single lump sum, that is payable for a fixed term. In
particular, the term is not subject to alteration by the death of
any person. In other words, there is no life contingency. If such
an annuity is purchased from an insurance company or friendly
society, part of each annuity payment is treated as a return of
capital. This result, unlike the situation in relation to a life
annuity, follows from first principles as determined by the Court -
see
Perrin v Dickson (1929), 14TC608. The
reasoning is that, as the term is known from the start, it is
straightforward and correct to determine the amount of exempt
capital comprised within each payment. Only the interest, or
income, element is treated as income for tax purposes. And it is
taxed as interest rather than as an annual payment.
Annuities certain are not annuities in the true sense at
all. The tax treatment of the payments is thus similar to that of
purchased life annuities, but they are not within the scheme
described at
IPTM4300 as the dissection arises on
first principles. If written by an insurance company they are in
fact a variety of capital redemption policy, see
IPTM1120, and consequently are
potentially within the chargeable events regime, see
IPTM3300, though they are not likely to
give rise to chargeable events, see
IPTM3400.
A UK-resident insurance company will deduct tax at the basic
rate from the payments it makes, but from the interest parts only.
In total, the interest parts will be equal to the amount by which
the sum of the annuity payments exceeds the purchase price of the
annuity.
CT&VAT (Technical) Insurance Group will advise in cases
of difficulty (see ‘Technical Help’ link on left hand
bar).
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