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Changes over time for: Section 16


Timeline of Changes
This timeline shows the different points in time where a change occurred. The dates will coincide with the earliest date on which the change (e.g an insertion, a repeal or a substitution) that was applied came into force. The first date in the timeline will usually be the earliest date when the provision came into force. In some cases the first date is 01/02/1991 (or for Northern Ireland legislation 01/01/2006). This date is our basedate. No versions before this date are available. For further information see the Editorial Practice Guide and Glossary under Help.
Version Superseded: 21/07/2008
Status:
Point in time view as at 01/04/2008. This version of this provision has been superseded.

Status
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Changes to legislation:
There are currently no known outstanding effects for the Income Tax Act 2007, Section 16.

Changes to Legislation
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16Savings and dividend income to be treated as highest part of total incomeU.K.
This section has no associated Explanatory Notes
(1)This section has effect for determining the rate at which income tax would be charged on a person's savings or dividend income apart from sections 12 and 13.
(2)It also has effect for all other income tax purposes except for the purposes of—
(a)section 491 (special rates not to apply to first slice of trustees' trust rate income), and
(b)sections 535 to 537 of ITTOIA 2005 (gains from contracts for life insurance etc: top slicing relief).
(3)If a person has savings income but no dividend income, the savings income is treated as the highest part of the person's total income.
(4)If a person has dividend income but no savings income, the dividend income is treated as the highest part of the person's total income.
(5)If a person has both savings income and dividend income—
(a)the savings income and dividend income are together treated as the highest part of the person's total income, and
(b)the dividend income is treated as the higher part of that part of the person's total income.
(6)See section 1012 for the relationship between—
(a)the rules in this section, and
(b)other rules requiring particular income to be treated as the highest part of a person's total income.
(7)References in this section to dividend income do not include dividend income which is relevant foreign income charged in accordance with section 832 of ITTOIA 2005 (relevant foreign income charged on the remittance basis).
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