• Home
  • Tax Law Online
  • ITA2007 | 2009 | Section 889 Payments in respect of building society securities

Section 889 Payments in respect of building society securities

Contents | Previous section | Next section
Section_bannerLearn more
Kindle_icon_40x40
£8.04 on Kindle
store UK | US (non-UK customers) | sneak peak
Pdf-icon_40x40
£20 eBook download

(1) This section applies to any payment made in a tax year if—

(a) it is a payment of a dividend or interest in respect of a security issued by a building society, and

(b) conditions A and B are met in relation to the security.

(2) Condition A is that the security was listed or capable of being listed on a recognised stock exchange at the time the dividend or interest became payable.

(3) Condition B is that the security is not—

(a) a qualifying certificate of deposit (see section 985),

(b) a qualifying uncertificated eligible debt security unit (see section 986), or

(c) a quoted Eurobond (see section 987).

(4) The person by or through whom the payment is made must, on making it, deduct from it a sum representing income tax on it at the [basic rate]1 in force for the tax year.

Amendments

1 Substituted for the words “savings rate” by Finance Act 2008 section 5 and Schedule 1 para 27 for 2008-09 and later tax years.

(5) For provision about the collection of income tax in respect of a payment from which a sum must be deducted under this section—

(a) see Chapter 15 if the person making the payment is a UK resident company, and

(b) otherwise see Chapter 16.

(6) See also Chapter 11 (payments between companies) for an exception from the duty to deduct sums representing income tax under this section.

(7) In this section—

“dividend” includes any distribution (whether or not described as a dividend), and

“security” includes a share (and, in particular, a permanent interest bearing share as defined in section 117 of TCGA 1992).

Contents | Previous section | Next section