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4(1)After section 775 of ICTA (sale by individual of income derived from his personal activities) insert—U.K.
(1)This section applies in any case where—
(a)a person sells or transfers the right to receive an annual payment to which this section applies (see subsection (4)), and
(b)the consideration (if any) for the sale or transfer would not, apart from this section, be chargeable to tax.
(2)In any such case, tax is charged—
(a)in the case of income tax, under this section; or
(b)in the case of corporation tax, under Case III of Schedule D.
(3)Where this section applies—
(a)the tax is charged on an amount equal to the market value of the right to receive the annual payment;
(b)the tax is charged for the chargeable period in which the sale or transfer takes place;
(c)the person liable for the tax is the person who sells or transfers the right to the annual payment.
(4)This section applies to any annual payment other than—
(a)an annual payment under a life annuity;
(b)an annual payment under a pension annuity;
(c)an annual payment to which section 347A applies (annual payments that are not charges on income);
(d)an annual payment in respect of which, by virtue of section 727 of ITTOIA 2005 (payments by individuals arising in UK), no liability to income tax arises under Part 5 of that Act.
(5)This section applies in relation to part of an annual payment as it applies in relation to the whole of an annual payment.
(6)For the purposes of this section, a sale or transfer of all rights under an agreement for annual payments, or under an annuity, is a sale or transfer of the rights to each individual payment under the agreement or annuity.
(7)In this section—
“life annuity” means—
a life annuity, as defined in section 657(1); or
a life annuity, as defined in section 473(2) of ITTOIA 2005;
“pension annuity” means an annuity which is pension income within the meaning of Part 9 of ITEPA 2003 (see section 566(2) of that Act).”.
(2)The amendment made by this paragraph has effect in relation to sales or transfers on or after 16th March 2005.
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