TSEM3665 - Trust income and gains: relief for overseas tax: trust income deemed not to be the beneficiary's


For tax purposes, income may be deemed to be that of someone other than a beneficiary. For example, the anti-avoidance provisions may treat trust income as that of the settlor. The trustees can claim tax credit relief on the income.

If the trustees do not claim relief, the overseas income chargeable is the net amount after deduction of overseas tax.