Update on Domicile and Tax of Offshore Trusts

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Implementation of the 6 April 2017 tax changes applicable to non-domiciled individuals, offshore trusts and UK residential property has been delayed because of the forthcoming UK General Election on 8 June 2017. Whilst it is unlikely that the changes will be dropped (especially if the current Government is re-elected), a concern that rushing the legislation through Parliament could result in unworkable legislation has resulted in an unexpected window of uncertainty which will not close until after the election.

In the run-up to 6 April 2017, many clients and advisors took action to prepare for the extensive changes expected to come into effect from that date. These changes included provisions to:

  • Treat individuals who were resident in the United Kingdom for 15 of the past 20 tax years to be deemed domiciled for all tax purposes
  • Treat individuals resident in the United Kingdom who were born in the United Kingdom with a UK domicile of origin to be deemed domiciled for all tax purposes
  • Change the tax treatment of offshore trusts
  • Charge inheritance tax on the value of non-UK companies attributable to UK residential property and certain loans (and related security) used to acquire such property

However, on 18 April 2017, the Prime Minister announced a snap general election and Parliament voted for it on 19 April, significantly shortening the timetable for passing the Finance Bill. Professional advisors wrote to the Government requesting that these changes, and other complex parts of the Finance Bill 2017, not be rushed through before the dissolution of Parliament. It was confirmed yesterday that these provisions will not be enacted before the election.  

The Chartered Institute of Taxation has indicated that these changes likely will be introduced following the election, regardless of the election result. However, no clarification has yet been provided regarding from when the changes will apply. We will be watching closely as events unfold and will provide updates where possible.

 

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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