Search Legislation

Income Tax (Earnings and Pensions) Act 2003

 Help about what version

What Version

  • Latest available (Revised)
  • Original (As enacted)
 Help about advanced features

Advanced Features

Changes over time for: Section 690D

 Help about opening options

Changes to legislation:

Income Tax (Earnings and Pensions) Act 2003, Section 690D is up to date with all changes known to be in force on or before 08 August 2026. There are changes that may be brought into force at a future date. Changes that have been made appear in the content and are referenced with annotations. Help about Changes to Legislation

Close

Changes to Legislation

Revised legislation carried on this site may not be fully up to date. Changes and effects are recorded by our editorial team in lists which can be found in the ‘Changes to Legislation’ area. Where those effects have yet to be applied to the text of the legislation by the editorial team they are also listed alongside the legislation in the affected provisions. Use the ‘more’ link to open the changes and effects relevant to the provision you are viewing.

View outstanding changes

Changes and effects yet to be applied to Section 690D:

Changes and effects yet to be applied to the whole Act associated Parts and Chapters:

Whole provisions yet to be inserted into this Act (including any effects on those provisions):

[F1690DEmployer notification for qualifying new residents [F2or treaty non-residents]U.K.

This section has no associated Explanatory Notes

(1)This section applies in relation to an employee if—

(a)the employee is or is likely to be a qualifying new resident for a tax year (“the [F3notifiable] year”), and

(b)the employee works or is likely to work outside the UK during the [F4notifiable] year.

[F5(1A)This section also applies in relation to an employee if—

(a)the employee is or is likely to be a treaty non-resident at any time in a tax year (“the notifiable year”), and

(b)the employee works or is likely to work outside the UK during the notifiable year.]

(2)[F6If this section applies in relation to the employee by virtue of subsection (1), the] appropriate person may give a notice to an officer of Revenue and Customs at any time during the [F7notifiable] year—

(a)that the employer is proposing to treat the foreign proportion of any qualifying payment made by the employer to the employee as not being PAYE income of the employee for the purposes of PAYE regulations, and

(b)specifying that proportion [F8(but see subsections (5A) and (5B))].

[F9(2A)If this section applies in relation to the employee by virtue of subsection (1A), the appropriate person may give a notice to an officer of Revenue and Customs at any time during the notifiable year—

(a)that the employer is proposing to treat the treaty relieved proportion of any treaty affected payment made by the employer to the employee as not being PAYE income of the employee for the purposes of PAYE regulations, and

(b)specifying that proportion (but see subsections (5A) and (5B)).]

(3)For the purposes of this section and section 690E—

(a)a “qualifying payment” means a payment of, or on account of, an amount of employment income of the employee that is likely to be qualifying employment income;

(b)the “foreign proportion” of a qualifying payment is [F10

(i)the best estimate that can reasonably be made of the overall proportion of the amount of all qualifying payments made by the employer to the employee that is likely to be qualifying foreign employment income,] [F11or

;

(ii)if the best estimate mentioned in sub-paragraph (i) is greater than 30%, 30%.]

[F12(c)a “treaty affected payment” means a payment of, or on account of, an amount of employment income of the employee a proportion in respect of which UK tax is likely to be relieved under double taxation arrangements as a result of the employee being treaty non-resident in the notifiable year;

(d)the “treaty relieved proportion” is the best estimate that can reasonably be made of the overall proportion of the amount of all treaty affected payments made by the employer to the employee in respect of which UK tax is likely to be relieved under double taxation arrangements.]

(4)If a notice given under this section has effect, the proportion of any qualifying payment [F13or treaty affected payment (as applicable)] made by the employer to the employee in any tax year which is to be treated for the purposes of PAYE regulations as not being a payment of PAYE income is the proportion specified in the notice.

(5)A notice given under this section—

(a)does not have effect if a direction has previously been given to the appropriate person under section 690E (direction by HMRC in relation to qualifying new residents [F14or treaty non-residents]) in relation to the employee and the [F15notifiable year];

(b)otherwise, has effect when it is acknowledged by an officer of Revenue and Customs.

[F16(5A)Subsection (5B) applies for the purposes of determining the proportion to be specified in a notice or notices under this section in circumstances where, if the notice or notices were to be given and acknowledged by an officer of Revenue and Customs, a notice given under both subsection (2) and subsection (2A) would have effect in relation to the employee and the notifiable year.

(5B)The proportion specified in the notice or notices must produce the result that no amount is reflected in both—

(a)the foreign proportion specified in the notice under subsection (2) as an amount that is likely to be qualifying foreign employment income, and

(b)the treaty relieved proportion specified in the notice under subsection (2A) as an amount in respect of which UK tax is likely to be relieved under double taxation arrangements.]

(6)A notice given under this section ceases to have effect if—

(a)a direction under section 690E is given to the appropriate person in relation to the employee and the [F17notifiable] year,

[F18(aa)as a result of a change in the employee’s circumstances, the proportion specified in the notice ceases to be a reasonable estimate of the overall proportion of the amount (as applicable) of—

(i)all qualifying payments that is likely to be qualifying foreign employment income, or

(ii)all treaty affected payments in respect of which UK tax is likely to be relieved under double taxation arrangements,]

[F19(b)a subsequent notice—

(i)is given by the appropriate person in relation to the employee and the notifiable year under the same subsection, and

(ii)is acknowledged by an officer of Revenue and Customs,

(c)the appropriate person notifies (in writing or otherwise) an officer of Revenue and Customs that the notice is to cease to have effect, or]

(c)a subsequent notice—

(i)is given by the appropriate person under section 690A (employer notification for internationally mobile employee) on the basis that the employee is or is likely to be non-UK resident in the [F20notifiable] year, and

(ii)is acknowledged by an officer of Revenue and Customs.

(7)A notice given under this section must be in such manner and form, and contain such information, as may be specified in a general direction made by the Commissioners for His Majesty’s Revenue and Customs.

(8)Subsection (4) is without prejudice to—

(a)any assessment in respect of the income of the employee in question, and

(b)any right to repayment of income tax and any relevant debts overpaid and any obligation to pay income tax underpaid and any relevant debts that remain wholly or partly unpaid.

(9)For the purposes of this section and section 690E—

(a)where an amount of employment income is treated as PAYE income paid by the employer for the purposes of PAYE regulations by virtue of section 687A or 695A (employment income under Part 7A) or section 696 (readily convertible assets), the employer is to be treated as making payment of that amount of employment income, ...

(b)qualifying new resident”, “qualifying employment income” and “qualifying foreign employment income” have the same meaning as in Chapter 5C of Part 2 (relief for new residents on foreign employment income).]

[F21(c)an individual is “treaty non-resident” at any time if, at that time, the individual falls to be regarded as resident in a territory outside the UK for the purposes of double relief arrangements having effect at the time, and

(d)double taxation arrangements” means arrangements that have effect under section 2(1) of TIOPA 2010.]

Textual Amendments

F1Ss. 690D, 690E inserted (for the tax year 2025-26 and subsequent tax years) by Finance Act 2025 (c. 8), s. 38(3), Sch. 8 para. 4 (with Sch. 8 Pt. 3)

F2Words in s. 690D heading inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(2)

F3Word in s. 690D(1)(a) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(3)(a)

F4Word in s. 690D(1)(b) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(3)(b)

F5S. 690D(1A) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(4)

F6Words in s. 690D(2) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(5)(a)(i)

F7Word in s. 690D(2) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(5)(a)(ii)

F8Words in s. 690D(2)(b) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(5)(b)

F9S. 690D(2A) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(6)

F10Words in s. 690D(3)(b) substituted for s. 690D(3)(b)(i) (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 8(1)(a)(i)

F11S. 690D(3)(b)(ii) and word inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 8(1)(a)(ii) (with Sch. 4 para. 8(2))

F12S. 690D(3)(c)(d) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(7)

F13Words in s. 690D(4) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(8)

F14Words in s. 690D(5)(a) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(10)(a)

F15Words in s. 690D(5)(a) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(10)(b)

F16S. 690D(5A)(5B) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(9)

F17Word in s. 690D(6)(a) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(11)(a)

F18S. 690D(6)(aa) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 8(1)(b)

F19S. 690D(6)(b)(c) substituted for s. 690D(6)(b) (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(11)(b)

F20Word in s. 690D(6)(c)(i) substituted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(11)(c)

F21S. 690D(9)(c)(d) inserted (for the tax year 2026-27 and subsequent tax years) by Finance Act 2026 (c. 11), s. 45(2), Sch. 4 para. 2(12)(b)

Back to top

Options/Help

Print Options

You have chosen to open The Whole Act

The Whole Act you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.

Would you like to continue?

You have chosen to open The Whole Act as a PDF

The Whole Act you have selected contains over 200 provisions and might take some time to download.

Would you like to continue?

You have chosen to open The Whole Act without Schedules

The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.

Would you like to continue?

You have chosen to open The Whole Act without Schedules as a PDF

The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download.

Would you like to continue?

You have chosen to open the Whole Act

The Whole Act you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.

Would you like to continue?

You have chosen to open the Whole Act without Schedules

The Whole Act without Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.

Would you like to continue?

You have chosen to open Schedules only

The Schedules you have selected contains over 200 provisions and might take some time to download. You may also experience some issues with your browser, such as an alert box that a script is taking a long time to run.

Would you like to continue?

Close

Legislation is available in different versions:

Latest Available (revised):The latest available updated version of the legislation incorporating changes made by subsequent legislation and applied by our editorial team. Changes we have not yet applied to the text, can be found in the ‘Changes to Legislation’ area.

Original (As Enacted or Made): The original version of the legislation as it stood when it was enacted or made. No changes have been applied to the text.

Close

See additional information alongside the content

Geographical Extent: Indicates the geographical area that this provision applies to. For further information see ‘Frequently Asked Questions’.

Show Timeline of Changes: See how this legislation has or could change over time. Turning this feature on will show extra navigation options to go to these specific points in time. Return to the latest available version by using the controls above in the What Version box.

Close

Opening Options

Different options to open legislation in order to view more content on screen at once

Close

Explanatory Notes

Text created by the government department responsible for the subject matter of the Act to explain what the Act sets out to achieve and to make the Act accessible to readers who are not legally qualified. Explanatory Notes were introduced in 1999 and accompany all Public Acts except Appropriation, Consolidated Fund, Finance and Consolidation Acts.

Close

More Resources

Access essential accompanying documents and information for this legislation item from this tab. Dependent on the legislation item being viewed this may include:

  • the original print PDF of the as enacted version that was used for the print copy
  • lists of changes made by and/or affecting this legislation item
  • confers power and blanket amendment details
  • all formats of all associated documents
  • correction slips
  • links to related legislation and further information resources
Close

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.

Close

More Resources

Use this menu to access essential accompanying documents and information for this legislation item. Dependent on the legislation item being viewed this may include:

  • the original print PDF of the as enacted version that was used for the print copy
  • correction slips

Click 'View More' or select 'More Resources' tab for additional information including:

  • lists of changes made by and/or affecting this legislation item
  • confers power and blanket amendment details
  • all formats of all associated documents
  • links to related legislation and further information resources