18 February 2025
The current non-domicile tax regime, including the remittance basis of taxation, will be abolished from 6 April 2025. It will be replaced by a new “residence based” approach. This note focuses on how the changes affect offshore trusts. Separate notes consider the impact on income tax and capital gains tax (“CGT”) for individuals and inheritance tax.
The main income tax and CGT changes that affect offshore trusts from 6 April 2025 are:
The FIG regime will be able to be used to exempt foreign income and gains in the following offshore trust situations:
Foreign income and gains received by the trust during years covered by the FIG regime may still be taxed in later years if matched to a distribution.
The TRF will be able to be used to reduce the tax on foreign income and gains in the following offshore trust situations:
Settlor-interested offshore trust protections currently mean that, where certain conditions are met, settlors are only assessable on foreign income and gains when distributions are received. The abolishment of these protections will mean that the settlor of such a trust will become liable to all income and gains of such trusts as they arise. The settlor will, however, be able to recover the tax from the trust.
For updates featuring tax changes, reminders for deadlines, pointers on how to maximise your accounts, and information on Everfair Tax and their activities: you need look no further than our news & resources pages.
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