WTTG4500 - Test C - no 'close connection' - 'days spent' in Wales or in other 'parts of the UK'

Where an individual is UK resident for tax purposes but does not have a 바카라 사이트close connection바카라 사이트 with Wales or another part of the UK (either through it not being possible to identify any place of residence or a main residence), they may still be a Welsh taxpayer if they satisfy the requirements of section 116H of the GOWA 2006, which operates by way of a test of the number of days spent in Wales against those spent in each other part of the UK.

바카라 사이트Part of the UK바카라 사이트 should be interpreted as meaning Wales, England, Scotland and Northern Ireland but not the Isle of Man or the Channel Islands.

Where an individual spends more days in Wales than in any other part of the UK they are a Welsh taxpayer.

In other words 바카라 사이트 days spent in Wales compared to days spent in England, Scotland or Northern Ireland individually during the course of that year 바카라 사이트 not in aggregate.

For these purposes Wales includes the adjacent UK territorial waters (i.e. up to 12 nautical miles from the shore) but does not include the adjacent UK continental shelf. Days spent in the UK continental shelf (for example a gas rig or similar installation) are not days spent in any part of the UK for these purposes.

What is meant by a 바카라 사이트day spent바카라 사이트?

Where an individual has spent a day is decided by where they are at the end of the day (midnight).

However, where an individual is in a part of the UK at midnight merely because they are in transit, that day does not count as a 바카라 사이트day spent바카라 사이트 in that location.

An individual is to be considered as in transit when travelling from one country outside the UK to another country outside the UK, and whilst en route:

  • They arrive in the UK as a passenger, and
  • Leave the UK the next day; and
  • Do not, between their arrival and departure, engage in any activities that are to a substantial extent unrelated to their passage through the UK.

For example, merely taking dinner or breakfast at a hotel, in the normal course of events, would be related to their passage. In contrast enjoying a film at the local cinema, taking part in a work meeting or catching up with friends or work colleagues should be considered substantially unrelated to the individual바카라 사이트s passage through the UK.

Examples

More than one place of residence but not possible to identify 바카라 사이트main place of residence바카라 사이트

Meera and her husband own and run a successful multi-national business. They have no children or close family. Both travel extensively on business, occasionally staying in hotels but usually basing themselves at houses they own in a variety of UK and overseas locations. Despite this travel both are resident in the UK for tax purposes. They are registered to vote at their London residence but seldom stay long at any of their residences and have numerous bank accounts and cars registered at different addresses.

Meera and her husband have numerous 바카라 사이트places of residence바카라 사이트 but it is not possible to identify one of these as their 바카라 사이트main place of residence바카라 사이트 바카라 사이트 Welsh taxpayer status should be decided for each by a day count for days spent in Wales and in each other part of the UK.

No 바카라 사이트place of residence바카라 사이트

Ruth is employed by a gas company working four weeks on/ four weeks off, on a gas rig in the Irish Sea. Ruth is single and has no children. When not on the rig she stays in work-related accommodation near Talacre but spends most of her non-working time visiting friends or on holiday. She keeps some of her possessions in storage near Talacre but the majority are at her mother바카라 사이트s home in Belfast, which she also uses as her address for bank and other correspondence, although she seldom visits.

Ruth has no place of residence. Her mother바카라 사이트s house is not a 바카라 사이트place of residence바카라 사이트 as Ruth does not reside there. Neither the rig (even if it is in UK territorial waters) nor the on-shore work accommodation are places of residence as there is little permanence or continuity in their occupation 바카라 사이트 none of her possessions are kept in them 바카라 사이트 there is no 바카라 사이트close connection바카라 사이트. Ruth바카라 사이트s Welsh taxpayer status will be decided by day counting.

Days spent in Wales and in other parts of the UK

Stuart is a UK citizen but has no fixed place of residence during the course of a tax year 바카라 사이트 neither owning nor renting property. He works for a consultancy firm advising on IT implementation projects and as such travels around the UK on short term assignments, staying in hotels. In the course of the tax year he spends 120 days in Wales, 100 days in England, 50 days in Scotland and 10 days in Northern Ireland.

Stuart has no place of residence during the course of the tax year so the 바카라 사이트days바카라 사이트 he spends in Wales are compared against the days he spends individually in each other part of the UK. Since the 120 바카라 사이트days바카라 사이트 spent in Wales is more than each of the 100 바카라 사이트days바카라 사이트 in England, 50 바카라 사이트days바카라 사이트 in Scotland and 10 바카라 사이트days바카라 사이트 in Northern Ireland, he is a Welsh taxpayer. It does not matter that these add up to 160 days spent in other parts of the UK outside of Wales, he is still a Welsh taxpayer.