Part 14Income tax liability: miscellaneous rules

Chapter 1Limits on liability to income tax of non-UK residents

Limit for non-UK resident individuals, trustees etc

811Limit on liability to income tax of non-UK residents

(1)

This section applies to income tax to which—

(a)

a non-UK resident, other than a company, is liable, or

(b)

a non-UK resident company is liable as a trustee.

(2)

Subsection (1) is subject to section 812 (case where limit not to apply).

(3)

The non-UK resident's liability to income tax for a tax year is limited to the sum of amounts A and B.

(4)

Amount A is the sum of—

(a)

any sums representing income tax deducted from the non-UK resident's disregarded income for the tax year (see section 813),

(b)

any sums representing income tax that are treated as deducted from or paid in respect of that income, and

(c)

any tax credits in respect of that income.

(5)

Amount B is the amount that, apart from this section, would be the non-UK resident's liability to income tax for the tax year, if the following were left out of account—

(a)

the non-UK resident's disregarded income for the tax year, and

(b)

any relief mentioned in subsection (6) to which the non-UK resident is entitled for the tax year as a result of—

(i)

section 56(3) or 460(3) of this Act F1... (residence etc of claimants), or

(ii)

double taxation arrangements.

(6)

The reliefs referred to in subsection (5) are—

(a)

an allowance under Chapter 2 of Part 3 of this Act F2... (personal allowance and blind person's allowance),

(b)

a tax reduction under Chapter 3 of Part 3 of this Act F2... (tax reductions for married couples and civil partners),

(c)

relief under section 457 or 458 of this Act (payments to trade unions and police organisations),

(d)

F3. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . and

(e)

relief under section 266 of ICTA (life assurance premiums).