SAIM4370 - Accrued Income Scheme: double taxation relief
Double taxation relief
Where an AIS charge arises on a foreign stock on which the interest would have suffered foreign tax eligible for credit relief if interest had been received, credit for foreign tax is allowable for the lower of
- the rate of United Kingdom tax charged on the accrued income profit, and
- the rate of foreign tax suffered on the interest payable at the end of the interest period for which the charge arises.
If there is an accrued income loss to be set against foreign interest, reduce the credit for foreign tax in the proportion which the allowance bears to the interest.
Example
Taxpayer holds foreign stock on which the interest suffers tax eligible for credit at 15%. Interest paid on 30 June and 31 December.
In the interest period to 30 June 2015, the taxpayer makes transactions resulting in an AIS loss of 拢200. He receives interest (gross) of 拢1,000 less 拢150 foreign tax.
In August 2016 he sells the entire holding and there is an AIS profit of 拢300. He is liable to United Kingdom tax at 22%. His double taxation relief is as follows
Foreign interest: 拢1,000
Less Accrued Income relief : 拢200
Total = 拢800
Foreign tax deducted :拢150
Credit restricted to : 拢1000 - 拢200 x 拢150/拢1000 = 拢120
Accrued income profit: 拢300
Allow credit for foreign tax on AIS charge 拢300 @15% = 拢45
Total double taxation relief : 拢120 + 拢45 = 拢165
The double taxation relief given can exceed the foreign tax suffered (拢165 exceeds the 拢150 suffered).