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You are here: BAILII >> Databases >> United Kingdom Special Commissioners of Income Tax Decisions >> Bird & Anor v Revenue & Customs [2008] UKSPC SPC00720 (03 November 2008) URL: http://www.bailii.org/uk/cases/UKSPC/2008/SPC00720.html Cite as: [2009] STC (SCD) 81, [2008] STI 2792, [2008] UKSPC SPC720, (2008) SpC 720, [2008] UKSPC SPC00720 |
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Spc00720
INCOME TAX Settlement Company owned by husband and wife Allotment of shares in company to their minor children on subscription at par Payment of dividends to children Whether settlement by virtue or in consequence of which dividends were paid within meaning of Income and Corporation Taxes Act 1988 ss. 660A(1) and 660G(1) Yes Appeal dismissed
ASSESSMENT Extended time limits Negligent conduct Husband and wife owned all shares in company Husband and wife allowed minor children to subscribe for shares at par Dividends paid to daughters Whether husband and wife were negligent in omitting daughters' dividends as dividend income of husband and wife in their tax returns No
THE SPECIAL COMMISSIONERS
MR P A & MRS F J BIRD Appellants
- and
THE COMMISSIONERS FOR HER MAJESTY'S REVENUE & CUSTOMS Respondents
Special Commissioner: SIR STEPHEN OLIVER QC
Sitting in public in London on 24 September 2008
No representation for the Appellants
Rupert Baldry, counsel, instructed by the general counsel and solicitor to HM Revenue and Customs, for the Respondents
© CROWN COPYRIGHT 2008
DECISION
The facts
The arguments on the main issue
The legislation
Conclusions
Conclusion on the main issue
" designed to bring within the net of taxation dispositions of various kinds, in favour of a settlor's spouse, or children, or of charities, cases, in popular terminology, in which a taxpayer gives away a portion of his income, or of his assets, to such persons, or for such periods, or subject to such conditions, that Parliament considers it right to continue to treat such income, or income of the assets, as still the settlor's income".
Extended Time Limit ("ETL") Assessments
"A settlement includes not only a formal trust, but also an agreement, covenant, disposition, arrangement or transfer of assets. If you have directly or indirectly provided funds for a settlement, the income of that settlement will usually be treated as yours if capital or income from the settlement benefits your own unmarried child or stepchild and the child is under 18".
Costs
SIR STEPHEN OLIVER QC
SPECIAL COMMISSIONER
RELEASED: 3 November 2008
SC 3008/2008
APPENDIX
THE LEGISLATION
Section 660A (1)
"Income arising under a settlement during the life of the settlor shall be treated for all purposes of the Income Tax Acts as the income of the settlor and not as the income of any other person unless the income arises from property in which the settlor has no interest"
Section 660A(2)
" a settlor shall be regarded as having an interest in property if that property or any derived property is, or will or may become, payable to or applicable for the benefit of the settlor or his spouse in any circumstances whatsoever."
Section 660A (6)
"The reference in subsection (1) above to a settlement does not include an outright gift by one spouse to the other of property from which income arises, unless
(a) the gift does not carry a right to the whole of that income, or
(b) the property given is wholly or substantially a right to income.
For this purpose a gift is not an outright gift if it is subject to conditions, or if the property given or any derived property is or will or may become, in any circumstances whatsoever, payable to or applicable for the benefit of the donor".
Section 660A (10)
"In this section "derived property", in relation to any property, means income from that property or any other property directly or indirectly representing proceeds of, or income from, that property or income therefrom".
For 1994/95, the predecessor provisions of Part XV applied (s. 663 ICTA); the definition of "settlement" was materially the same (s. 670).
Section 660B (1)
"Income arising under a settlement which does not fall to be treated as income of the settlor under section 660A but which during the life of the settlor.
(a) is paid to or for the benefit of an unmarried minor child of
the settlor, or
(b) would otherwise be treated (apart from this section) as income of an unmarried child of the settlor
in any year of assessment shall be treated for all the purposes of the Income Tax Act as the income of the settlor for that year and not as the income of any other person".
Section 660B (6)
"In this section
(a) "child" includes a stepchild and an illegitimate;
(b) "minor" means a person under the age of 18 years, and
"minor child" shall be construed accordingly; and
(c) references to payments include payments in money or
money's worth".
Section 660G (1)
"In this Chapter
"settlement" includes any disposition, trust, covenant, agreement, arrangement or transfer of assets, and
"settlor", in relation to a settlement, means any person by whom the settlement was made"
Section 660G (2)
"A person shall be deemed for the purpose of this Chapter to have made a settlement if he has made or entered into the settlement directly or indirectly, and, in particular, but without prejudice to the generality of the preceding words, if he has provided or undertaken to provide funds directly or indirectly for the purpose of the settlement "