LLM5070 - Names: income from ancillary trust funds (‘ATFs’): Accrued Income Scheme (‘AIS’)
“Accrued income securities” includes all interest
bearing securities, including shares in a building society and
gilts, but does not include shares in a company, National Savings
certificates and war loan certificates. SAIM 4000+ (see
LLM10000) gives full details of the
scheme.
Under the AIS no charge arises and no allowance is due for a
tax year if the total nominal value of all accrued income
securities held at any time in that year or the preceding tax year
did not exceed £5,000. If the aggregate of the nominal values
of all such securities held by a Name, both as part of their
personal and premium trust funds at Lloyd’s and as part of
their personal non-Lloyd’s investments, is less than
£5,000 in the relevant periods then no charge arises and no
allowance is due.
Where such a charge applies, for purchases and sales of such
securities held as part of personal Funds at Lloyd’s, the
amount to include in trade profits for a tax year is the amount
that would be computed, either as an allowance or a charge, for
those securities under the rules of the AIS for the appropriate
period. This period is the calendar year ending in the tax year.
Although the computational rules of the AIS are used to work
out the amounts of income or expense that arise when a Name
purchases or sells such securities, the resulting amount is
included in trading results for resident and non-resident Names
alike. The only exceptions for non residents are for non-UK
securities and FOTRAs (
LLM5440).
Calculation of AIS allowance or charge
The corresponding year rules that determine the tax year to
which Lloyd’s ATF income is related mean that some adjustment
is needed to the dates used to determine the AIS charge. Where
there has been a purchase or sale between 6 April and 31 December
in one tax year, an AIS charge or allowance might arise if the next
payment of interest was due between the calendar year, 1 January
and 31 December, following, rather than being linked to sales in
one tax year and the next interest payment due in the following tax
year.
For example, if, following purchase or sale of such a
security between 6 April and 31 December 2006, the next payment of
interest following the date of transfer of that security would fall
between 1 January and 31 December 2007 inclusive, a charge would
arise if that security was purchased ex-dividend or sold
cum-dividend.
If a Name holds such securities both as part of personal
Funds at Lloyd’s and as part of personal non-Lloyd’s
investments, the AIS allowance or charge shown on the Lloyd’s
Pages should not be reflected on the main part of that year’s
SA Tax Return.
