RDRM33295 - Remittance Basis: Identifying Remittances: Condition C - Gift Recipients: Gift recipients - timing of remittance

Where Condition C applies, the date of remittance is the date on which the property, benefit or service is first enjoyed by the relevant person (see RDRM33030) and not the date on which the property was brought to, received or used in the UK, or used outside the UK, by the gift recipient (section 809L(6) ITA 2007 and see RDRM33230 for a definition of gift recipient)

Example

In May 2015 John, a remittance basis user, gives £12,000 of his foreign income and chargeable gains for that year to his sister Elaine, a gift recipient.

In February 2017 Elaine uses this money to buy a car in the UK. In May 2018 Elaine moves closer to John, and from that date she makes the car available daily for John and John바카라 사이트™s wife to use.

The qualifying property is the car, which derives from the foreign income (the £12,000) that John gifted to Elaine. That qualifying property is used in the UK from February 2017 (2016-2017) but it is only when it is first enjoyed by a relevant person (John and his wife) that there is a taxable remittance, that is, in May 2018 (2018-2019).

These rules about timing do not apply to qualifying property that is used outside the UK in respect of a 바카라 사이트˜relevant debt바카라 사이트™. In those cases the date of the remittance is the date the property is so used, in respect of the debt.