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Globe-Trotting
Sportsman Or Entertainer: UK
The
UK is no tax haven, but it does, or rather,
did, have relatively low tax rates compared
with some other European countries, and
it offers exemption from tax for income
from foreign investments for people who
are resident but not domiciled in the UK.
For wealthy non-British (ie non-domiciled)
individuals who need or want to live in
a cultural capital, London may therefore
be the city of choice.
The UK Treasury has, however, been making threatening noises against
the tax advantages of 'nondoms' for some years, and in 2008 then
Chancellor Alistair Darling introduced a scheme under which UK residents
who are non-domiciled have to pay an annual charge of GBP30,000
to ensure that they contribute in respect of the foreign income
and gains which they keep abroad and on which they do not pay UK
tax.
The
charge applies if they have been resident
in the country for more than 7 years. Users
of the remittance basis also lose their
tax free personal allowances.
The Gaines-Cooper
case regarding the terms under which one can be considered non-domiciled
in the UK has also been the subject of some confusion, meaning that
the situation for those in such a position remains unclear, even
after HMRC issued 400 pages of guidance on residency issues in March,
2009.
Foreign
investment income is exempt from tax for
globe-trotting sportsmen and entertainers
as long as the income is not remitted to
the UK. Therefore they can safely make offshore
investments knowing that the income will
be reinvested without deduction - the ideal
way of turning income into capital without
taxation.
American
citizens, and nationals of the very few
other countries that tax world-wide income
on the basis of citizenship, won't be able
to take advantage of this UK possibility,
but for all other nationals, it is available.
The
best type of offshore investment may depend
on future residential plans. Many countries
tax world-wide income based on residence,
and if a return to such a home jurisdiction
is planned then investments should probably
be made through trusts or other tax-distancing
vehicles. If return is planned to a home
tax regime which fixes only on domestic
source income (the case for many or most
offshore jurisdictions), then direct investment
is safer.
www.lowtax.net
contains details of the corporate and individual
tax regimes for 35 offshore jurisdictions.
NB: The suggestions given above do not
constitute investment advice. They are intended
only to assist individuals in finding appropriate
professional advice, which is essnetial
for anyone planning offshore investment.
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