SCHEDULES

SCHEDULE 7Remittance basis

Part 2Non-resident companies and trusts etc

Attribution of gains to beneficiaries in cases involving transfers of value: commencement etc

151

1

This paragraph applies for the tax year 2008-09 or any subsequent tax year (“the relevant tax year”) if—

a

an individual who was resident or ordinarily resident, but not domiciled, in the United Kingdom in the tax year 2007-08 received a capital payment from the trustees of a settlement on or after 12 March 2008 but before 6 April 2008, and

b

the individual is resident or ordinarily resident, but not domiciled, in the United Kingdom in the relevant tax year.

2

For the purposes of paragraph 8 of Schedule 4C to TCGA 1992 as it applies for the relevant tax year (and section 87A of that Act as it applies for those purposes), no account is to be taken of the capital payment.