Part 9Special rules about settlements and trustees

Chapter 7Discretionary payments

F1Payments constituting income of beneficiary (other than employment income)

Annotations:
Amendments (Textual)
F1

S. 493 cross-heading inserted (with effect in accordance with art. 3(9) of the amending S.I.) by The Enactment of Extra-Statutory Concessions Order 2010 (S.I. 2010/157), arts. 1, 3(2) (with art. 3(10))

493Discretionary payments by trustees

1

Sections 494 and 495 apply for income tax purposes if—

a

in a tax year the trustees of a settlement make an annual payment to a person (“the beneficiary”) in the exercise of a discretion (whether exercisable by the trustees or any other person),

b

the trustees are UK resident for the tax year, and

c

condition A or condition B is met.

2

Condition A is that what is paid to the beneficiary is, only because of the payment, income of the beneficiary for income tax or corporation tax purposes.

  • Income” does not include employment income.

3

Condition B is that the payment is treated for income tax purposes as the income of a settlor under section 629 of ITTOIA 2005 (income paid to relevant children of settlor).

  • Settlor” is to be read in accordance with section 620 of ITTOIA 2005.

4

The payment is referred to in sections 494 and 495 as “the discretionary payment”.

5

In this Chapter “payment” includes payment in money's worth.