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Home / Simons-Taxes /Personal and employment tax /Part E1 Income tax /Division E1.6 Foreign income /Foreign income / E1.602 Relevant foreign income
Commentary

E1.602 Relevant foreign income

Personal and employment tax

Relevant foreign income is income that arises from a source outside the UK, that is chargeable to tax under any of the following provisions, or would be so chargeable if ITTOIA 2005, s 832 remittance basis rules (see E1.603) did not apply1. Relevant foreign income also includes some additional and deemed sources, which would not otherwise fall within the definition,2 (see below).

Relevant foreign income—sources outside the UK

The following income sources are relevant foreign income, where the source is overseas3:

  1. Ìý

    •ÌýÌýÌýÌý adjustment income, ITTOIA 2005, ss 226–240 (Pt 2, Ch 17), see B2.114

  2. Ìý

    •ÌýÌýÌýÌý annual payments not otherwise charged, ITTOIA 2005, ss 683–686 (Pt 5, Ch 7), see E1.510,

  3. Ìý

    •ÌýÌýÌýÌý certain telecommunications rights — non-trading income, ITTOIA 2005, ss 614–618 (Pt 5, Ch 4), see B2.473,

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