Originally posted by Loan Ranger
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AML 2019 Loan Charge
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Originally posted by THISISWRONG View PostSorry, didn't mean it be convoluted.
I have read that one option to avoid the 2019 Loan charge is to repay the funds back to the trust.
I took this from comments on this blog - https://www.enterprisetax.co.uk/april-2019-loan-charge/General
Temporarily ignoring any other relevant attacks, the legislation is clear. One stands at a fork in the road. Do you repay the loan or do you suffer the April 2019 loan charge? A valid choice presented by the legislation.
Ignoring other considerations, I would rather pay money back to the trustees than to HMRC. This is because it is money that could be used by me again in the future. Even if, in the worst cases scenario, that income proves to be taxable when I choose to use I will at least be able to control the tap.
That said, it is clear that those funds can be used for commercial opportunities and retain the IHT attractions of the trust at the same time.
In short, it is a tax advisor saying that you can repay the loan and invest the funds. All I was asking is... has anybody done this option and is it the end if you do?
You've said:Do you repay the loan or do you suffer the April 2019 loan charge?
April 2019 Loan Charge: What are the options?
Taking into account the above, a list options might be as follows
Explore settlement with HMRC – this is clearly HMRC’s preferred route. It involves the least resources and practical difficulties on their part and this is reflected in the extensive guidance and terms offered;
Repay the loan to the Trustees; or
Suffer the April 2019 loan charge.
Are you suggesting that you pay back KHT £50k, then you ask them to launder that £50k from offshore to a UK based trust without incurring costs/taxes, then you coincidentally being involved in that trust because, for some reason, you think you have a right to the money?
I'm really confused by what you want to do and how you think it would work. Have you spoken to any tax advisors about it, or where did you get the idea from?…Maybe we ain’t that young anymoreComment
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Originally posted by DOT COM View PostOther than declaring and repaying the loan amounts what “ other “ close scrutiny are you suggesting HMRC will apply to individuals ?Comment
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Repaying with cash
Originally posted by Iliketax View PostI've not read the full blog post but the bit about repaying loans is wrong. They have just looked at the April 2019 loan charge legislation and not considered the original disguised remuneration legislation.
Assuming you don't go down another tax avoidance route suggested before but took a mortgage e.g. to repay a loan and repaid it in cash then categorically the loan charge will not apply? Do you agree?
But you are suggesting that since the funds are 'earmarked' by trustee another charge will occur (not the loan charge). When will this occur? On April 2019 or when you first took the loan from the trust?
If you took the loan from the trust pre 2011 (which is now before the 6 years) e.g. and repaid in cash and full, how or when would they apply an earmarking charge? When you take the money from the trust again or for that previous year (which may or may not be closed?). So either they're out of time to investigate something over 6 years ago if no opened enquiry? or you could hold the cash in the trust and defer any further charge till you collect it then (retirement e.g.)?
When do you think this charge would occur and how exactly?Comment
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Originally posted by QUODM View PostHow do you think this works exactly?
Originally posted by QUODM View PostThe legislation is clear that if you repay the loans in cash, the relevant step does not occur (presumably pretending that repaying the loans in one year is a fair way out to parliament).
Originally posted by QUODM View PostAssuming you don't go down another tax avoidance route suggested before but took a mortgage e.g. to repay a loan and repaid it in cash then categorically the loan charge will not apply? Do you agree?
Just to be clear that although the April 2019 loan charge does not apply, that does not stop any other charging provisions applying (like the normal disguised remuneration rules).
Originally posted by QUODM View PostBut you are suggesting that since the funds are 'earmarked' by trustee another charge will occur (not the loan charge). When will this occur?
Again just to be clear, this earmarking tax charge is based on someone thinking about doing something in the future (even if they are not sure about what, when or how they will do it).
Originally posted by QUODM View PostOn April 2019 or when you first took the loan from the trust?
Originally posted by QUODM View PostIf you took the loan from the trust pre 2011 (which is now before the 6 years) e.g. and repaid in cash and full, how or when would they apply an earmarking charge? When you take the money from the trust again or for that previous year (which may or may not be closed?). So either they're out of time to investigate something over 6 years ago if no opened enquiry? or you could hold the cash in the trust and defer any further charge till you collect it then (retirement e.g.)?
When do you think this charge would occur and how exactly?
If the employer is still around then PAYE/NIC is due. If it is not, then self-assessment.
How will HMRC know? Obviously you will do your tax return properly and include any disguised remuneration tax charge.
If I was HMRC (and I'm not) I would expect a letter to be sent to everyone who says they've repaid their loans enquiring in to their tax return, asking (i) are you sure that what you put on your tax return and loan report and complete, (ii) evidence that you have repaid the loan (e.g. something from the trustee), (iii) evidence you've repaid the loan in money (e.g. bank statement), (iv) evidence of where the cash came from (e.g. mortgage from a bank that you found yourself and on exactly the same terms as a member of the public at large could get vs loan on other terms), (v) what has happened to the cash after it has been repaid, (vi) what future benefits you or people linked with you might get in the future, (vi) copies of all documents or communications you had with the trustee discussing the repayment of the loan and what may happen to it in the future, (vii) what you have done about IHT (e.g. entry charge, ten year charge, exit charge), (viii) what advice you received in relation to IHT (from someone who is not an interested person), and (ix) the what advice you received in relation to any loans made in the requirement to correct period (from someone who is not an interested person).Comment
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Originally posted by Iliketax View PostIf I was HMRC (and I'm not) I would expect a letter to be sent to everyone who says they've repaid their loans enquiring in to their tax return, asking (i) are you sure that what you put on your tax return and loan report and complete, (ii) evidence that you have repaid the loan (e.g. something from the trustee), (iii) evidence you've repaid the loan in money (e.g. bank statement), (iv) evidence of where the cash came from (e.g. mortgage from a bank that you found yourself and on exactly the same terms as a member of the public at large could get vs loan on other terms), (v) what has happened to the cash after it has been repaid, (vi) what future benefits you or people linked with you might get in the future, (vi) copies of all documents or communications you had with the trustee discussing the repayment of the loan and what may happen to it in the future, (vii) what you have done about IHT (e.g. entry charge, ten year charge, exit charge), (viii) what advice you received in relation to IHT (from someone who is not an interested person), and (ix) the what advice you received in relation to any loans made in the requirement to correct period (from someone who is not an interested person).
HMRC will need a lot of convincing that a repayment is not part of a "cunning plan" to avoid the LC but retain the benefit of the money.Comment
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Im not looking for any action that is risky, but i did think that having a trust still may have a benefit - and if you can afford to repay the trust, rather than HMRC, then at least you can look to get benefit from the money at some point - if you drip feed it out as a pension pot when you retire.
Is that not better than giving a slightly lower amount to HMRC?????
Looks like AML are about to go bump too:
https://beta.companieshouse.gov.uk/company/07014344
Registered office address
Blackfriars House, Parsonage, Manchester, England, M3 2JA
Company status
Active — Active proposal to strike offComment
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"I can put any old tat in my sig, put quotes around it and attribute to someone of whom I've heard, to make it sound true."
- Voltaire/Benjamin Franklin/Anne Frank...Comment
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Originally posted by THISISWRONG View PostIm not looking for any action that is risky, but i did think that having a trust still may have a benefit - and if you can afford to repay the trust, rather than HMRC, then at least you can look to get benefit from the money at some point - if you drip feed it out as a pension pot when you retire.Comment
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Pension contributions
Can someone please explain the pension contribution scenario please? I am planning on settling with HMRC through and independant tax advisor and have seen various posts with reference to pension contributions. Does your liability with HMRC reduce if you agree to contribute to a pension?Comment
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