SAIM2330 - Interest: exemptions: personal injury damages
Interest included in damages for personal injury
Interest on damages (including, in Scotland,
solatium) in respect of personal
injuries or death included in an award by order of a court in any
part of the United Kingdom is exempted from tax by ITTOIA05/S751.
Such interest may be granted for the period, or any part of the
period, from the date the cause of action arose to the date of the
award. ‘Personal injuries' for this purpose includes any
disease or impairment of a person's physical or mental condition.
Interest on damages awarded in corresponding circumstances by
a foreign court is also exempt from tax, provided the interest is
exempt from tax in the country in which the award is made. For
years before 2005-06, this extension was concessionary, under
ESC/A30. It was made statutory by ITTOIA05/S751(1)(c).
The exemption conferred by ITTOIA/S751 extends to the
interest element in:-
- a payment into Court for which judgement is never given, and
- an out of court settlement.
It does not extend to interest on the sum awarded for the period
between the date judgement is given and the date of payment.
‘Interest on damages’ in ITTOIA05/S751 means any
element of the damages award that represents compensation for the
delay between the occurrence of the personal injury and the award
of damages. See the guidance at
SAIM2090 on determining whether or not a
lump sum that someone receives contains an interest element.
The exemption does not cover any interest that may be earned
if the damages award is subsequently invested, or any capital gain
that arises on such investments.
Example
Alice, a leaflet deliverer, sustained severe injuries on 1 July
2005 after being attacked by a householder's dog. She took legal
action against the owner of the dog, and on 10 November 2006, she
was awarded damages by the Court for personal injury. The judgement
states that she is to receive £41,362, representing damages of
£40,000 plus £1,362 representing interest from 1 July
2005 to 10 November 2006.
Alice did not actually receive any money until 10 April 2007,
when she received a cheque for £41,982 from the dog owner's
insurers. The additional £620 represents interest for the six-
month delay in payment of the damages. Alice opens a savings
account with a bank and deposits the £41,982. In 2007-08, she
earns net interest of £675 on the bank deposit.
The £1,362 interest included in the damages award is
exempted from tax by ITTOIA05/S751, and Alice does not need to show
it on her 2006-07 self assessment return. But the £620
interest relating to the period between the date of the damages
award and payment of the money will need to be shown (as untaxed
interest) on her 2007-08 return, as will the £675 bank
interest that she has received with tax deducted. If Alice does not
normally complete a self assessment return, she would need to tell
HMRC about the untaxed interest.
Interest on money paid into Court
A person being sued for damages may pay money into Court. Such a ‘deposit’ with the Court may earn interest. This interest is taxable income of the defendant, even though it may eventually be paid over to the plaintiff as part of the settlement of the award.
