SAIM4220 - Accrued Income Scheme: other excluded persons
Financial traders
ITA07/S642 excludes a transfer of securities by or to a person carrying on a trade, where the proceeds will be taken into account in computing trading profits. In effect, therefore, financial traders are excluded from the AIS. This exception does not apply to the counterparty in either case.
Non-residents
See SAIM4230.
Individuals to whom the remittance basis applies
ITA07/S644 provides that individuals are excluded transferors and transferees in respect of transfers to and from them of foreign securities in circumstances where, if interest arose on the securities, any tax liability on the interest would be relevant foreign income charged on the remittance basis, rather than the normal arising basis. These are non-domiciled individuals and not ordinarily resident Commonwealth citizens or citizens of the Irish Republic.
Charities
ITA07/S645 provides that a person is an excluded transferor or transferee if any interest received by them is applied for charitable purposes and they are exempt from tax on savings and investment income under ITA07/S532 as a charitable trust, or exempt in respect of public revenue dividends applicable for the repair of college or church buildings etc. under ITA07/S533.
Registered pension schemes
ITA07/S646 excludes transfers to and from a person where the person is entitled to the exemption for income from investments held for the purposes of a registered pension scheme under FA04/S186.
Makers of manufactured payments
ITA07/S647 is concerned with the interaction between the Accrued
Income Scheme and the rules on ‘manufactured interest’
and ‘manufactured overseas dividends’ in ITA07/S578 or
S581. Broadly it ensures that the AIS does not give rise to a
double charge on transactions which are already caught by the rules
on manufactured payments. It excluded the seller in such contracts
from being a transferor, and from being a transferee to the extent
that the seller has contracted to sell more securities than have
been transferred to him.
Where a payment is treated as made by a transferor to the
maker of the manufactured payment (the transferee), ITA07/S663
treats the amount of the payment as reduced to the extent that the
maker of the manufactured payment has already contracted to sell
securities of that kind. This ensures that there is no double
charge to tax under both the AIS and the rules on manufactured
payments and repos in Part 11 of ITA07.
