[628CForeign income arising before, but remitted on or after, 6 April 2017U.K.
This section has no associated Explanatory Notes
(1)For the purposes of applying section 809L of ITA 2007 (meaning of remitted to the UK) in relation to transitional trust income, “relevant person” in that section does not include the trustees of the settlement concerned.
(2)“Transitional trust income” means income—
(a)that arises under a settlement in the period beginning with the tax year 2008-09 and ending with the tax year 2016-17 (“the protection period”),
(b)that would be protected foreign-source income for the purposes of section 628A(1) if section 628A(2)—
(i)had effect for the protection period, and
(ii)so had effect with a reference to conditions A to E (instead of A to F),
(c)that prior to 6 April 2017 has neither been distributed by the trustees of the settlement nor treated under section 624(1) as income of the settlor, and
(d)that would for the tax year in which it arose under the settlement have been treated under section 624(1) as income of the settlor if the settlor had been domiciled in the United Kingdom for that year.
(3)Section 648(3) to (5) (relevant foreign income treated as arising under settlement only if and when remitted), and corresponding earlier enactments, do not apply for the purposes of subsection (2)(a) and (d).]