SCHEDULES
SCHEDULE 36Agreement between UK and Switzerland
PART 5General provisions
F1Transfers to HMRC under Agreement
Annotations:
Amendments (Textual)
26B
1
This paragraph applies if—
a
but for paragraph 26A(1), income or chargeable gains would have been regarded as remitted to the United Kingdom by virtue of the bringing of money to the United Kingdom, and
b
section 809Q of ITA 2007 (transfers from mixed funds) would have applied in determining the amount that would have been so remitted.
2
The bringing of the money to the United Kingdom counts as an offshore transfer for the purposes of section 809R(4) of ITA 2007 (composition of mixed fund).
Sch. 36 paras. 26A, 26B and cross-heading inserted (retrospective to 1.1.2013) by Finance Act 2013 (c. 29), s. 221(1)(2)