Trusts are liable to income tax on income and CGT on gains for each tax year. The trustees
are responsible for filing self assessment tax returns by the normal date (31 January 2010 for
2008/09) and paying the tax on the normal dates (payments on account of income tax on 31 January
and 31 July 2009, and the balance of income tax and the whole of the CGT on 31 January 2010).
The tax rates applicable to trusts are:
|Rate on dividend income
|Rate on other income
|Rate on capital gains
|CGT annual exemption
Discretionary trusts for vulnerable beneficiaries (such as disabled people) can pay tax at the lower
rates if an election is made. Discretionary trusts pay tax at the lower rates on income up to £1,000.
Beneficiaries of life interest trusts are treated as entitled to the income of the trustees, and pay tax on it in the year
it arises to the trust, with a credit for tax paid by the trustees. Beneficiaries of discretionary trusts pay tax on income
distributed to them by the trustees, which is treated as paid with a tax credit of 40/60 of the cash received. If the tax
credit on either type of trust exceeds the beneficiary's tax liability, the excess can normally be reclaimed by the beneficiary
(unless credits on dividends in life interest trust).
The CGT annual exemption is divided between trusts established by the same settlor since 1978, to a
minimum of £960.
Trusts are also liable to pay inheritance tax in a variety of circumstances, and trustees should make
sure that they have appropriate professional advice to enable them to fulfil all their legal and
fiscal responsibilities.In particular, changes to the IHT treatment of trusts introduced in 2006 take effect for
many pre-existing trusts on 6 April 2008. Trustees of such trusts should make sure they are aware of the
effect on them.