Thursday, May 13, 2010
Ex Pats have it better!! Its official!
Nine out of ten British expatriates say they enjoy a better quality of life abroad, according to the third annual NatWest International Personal Banking quality of life report. See our pensions and fund transfers section on http://www.360canaries.com/
Wednesday, April 21, 2010
Booking.com Volcano Info
BOOKING:COM
Information regarding the Vocanic Ash situation for anyone who booked accommodation via our website with Booking.com
http://www.booking.com/general.html?sid=c7bd5e512704ec1aa7820488e5d9837f;tmpl=docs/faqmain#volcano
Information regarding the Vocanic Ash situation for anyone who booked accommodation via our website with Booking.com
http://www.booking.com/general.html?sid=c7bd5e512704ec1aa7820488e5d9837f;tmpl=docs/faqmain#volcano
Wednesday, April 14, 2010
Click to make your own wedding day website and for gift ideas!
http://www.lanzaroteweddingplanning.com/extras.html
Tuesday, April 13, 2010
UK TELECOM CANARY ISLANDS
The NUMBER ONE in Spain
We are still celebrating our NINTH BIRTHDAY, NINE successful years thanks to you our 60,000 members for all of your support during the past.
To thank you for your tremendous loyalty we are giving a birthday present of NINE EUROS for each new introduction to our services. That is a BONUS of 4•50 EUROS to the introducer, and 4•50 EUROS to the new member off the next invoice. This is worth more than 2½ FREE HOURS of calls to U.K. landlines on Saturdays. The offer has been extended to 31st May 2010, so for every 10 introductions there are 25 FREE HOURS and for every 100 introductions there are 250 FREE HOURS!
Click directly to 360canaries UK Telecom site!
http://www.360canaries.com/links.php
We are still celebrating our NINTH BIRTHDAY, NINE successful years thanks to you our 60,000 members for all of your support during the past.
To thank you for your tremendous loyalty we are giving a birthday present of NINE EUROS for each new introduction to our services. That is a BONUS of 4•50 EUROS to the introducer, and 4•50 EUROS to the new member off the next invoice. This is worth more than 2½ FREE HOURS of calls to U.K. landlines on Saturdays. The offer has been extended to 31st May 2010, so for every 10 introductions there are 25 FREE HOURS and for every 100 introductions there are 250 FREE HOURS!
Click directly to 360canaries UK Telecom site!
http://www.360canaries.com/links.php
Friday, April 9, 2010
News from 360canaries
We are now linked to Blog Ex Pat and Business Services UK ... take a look!
BLOG Ex Pat
Business Services UK
BLOG Ex Pat
Business Services UK
Wednesday, April 7, 2010
QNUPS
QNUPS Advice
QNUPS - the next major offshore pensions planning opportunity for UK tax-relieved pension funds and the interaction with QROPS.
The Inheritance Tax (Qualifying Non-UK Pension Schemes) Regulations 2010 [SI 2010 / 0051] came into force on 15 February 2010 and have introduced QNUPS.
The purpose was to correct an error in the Finance Act 2004. Without these amending regulations UK pension funds once transferred to a QROPS would become liable to UK Inheritance Tax (IHT) charges. These regulations now mean a non-UK resident may transfer UK pension rights to a QROPS and upon death, whether before or after age 75, no Inheritance Tax liability arises.
These regulations apply to overseas schemes generally. But they have wider application for two reasons :
1. taxable property rules associated with one form of QROPS and
2. a restriction on the tax relief available on pension contributions to high-earning UK residents.
The technical side
To be a QNUPS the overseas scheme must satisfy the same conditions necessary for a Recognised Overseas Pension Scheme (ROPS) (SI 2006/206) with the importannt exception that there is no necessity for there to be Double Taxation Treaty (DTA) with the overseas scheme’s jurisdiction if the scheme is outside of the European Economic Area. A DTA is not necessary because there are no reporting requirements from the QNUPS to HMRC.
The outcomes are that a QNUPS benefits from UK IHT exemption in respect of:
(a) UK tax-relieved pension funds that have been transferred to a QNUPS.
(b) contributions to a QNUPS and
(c) assets held by a QNUPS generally.
A QROPS will by definition be a QNUPS. But a QNUPS need not be a QROPS. This leads to the feasibility of using QNUPS as an ultimate destination for UK tax-relieved pension funds to gain further advantage.
A QNUPS (which is not a QROPS), is a good home for UK pension funds which were originally transferred to a QROPS. A QNUPS (which is not a QROPS) need have no specific investment restrictions and may for example invest in residential property and the like. But the key to this is transferring from the QROPS to a QNUPS.
For clarification we need to differentiate between “investment regulated” and “non-investment regulated” QROPS. This is a consequence of SI 2009 / 2047, effective August 2009. These taxable property provisions (relating to investment in residential property, fine wines, antiques, and the like) extend UK investment rules to some QROPS. If the QROPS is “investment regulated” then Paragraph 7A of Schedule 34 Finance Act 2004, provides for a 70% tax charge where investment is made into taxable property out of UK pension funds which have been transferred to the QROPS. But there are further implications.
What follows are direct quotes from the Registered Pension Schemes Manual (RPSM).
“A transfer from a UK pension scheme to a QROPS constitutes a Relevant Transfer Fund” (RPSM13102130). Then we have to consider whether that fund comprises a Taxable Asset Transfer Fund (TATF). All transfers from UK pension schemes to an investment-regulated QROPS since 6 April 2006 comprise a TATF.
This is important because: “A payment to a transfer member has to be notified to HMRC regardless of whether or not they have been non-resident for more than five tax years if it is deemed to have been made from their Taxable Asset Transfer Fund” (RPSM14101070).
An investment-regulated QROPS means that the member is able to direct or influence the investments made. Most Guernsey QROPS have concluded that they are not investment regulated. Some have not declared their hand and one considers the distinction to be “immaterial”. New Zealand QROPS are not investment-regulated pension schemes. Some Hong Kong QROPS have taken the same view. The same is likely to apply to schemes in Gibraltar, Isle of Man and Malta
For all QROPS / QNOPS information and advice http://www.360canaries.com/
QNUPS - the next major offshore pensions planning opportunity for UK tax-relieved pension funds and the interaction with QROPS.
The Inheritance Tax (Qualifying Non-UK Pension Schemes) Regulations 2010 [SI 2010 / 0051] came into force on 15 February 2010 and have introduced QNUPS.
The purpose was to correct an error in the Finance Act 2004. Without these amending regulations UK pension funds once transferred to a QROPS would become liable to UK Inheritance Tax (IHT) charges. These regulations now mean a non-UK resident may transfer UK pension rights to a QROPS and upon death, whether before or after age 75, no Inheritance Tax liability arises.
These regulations apply to overseas schemes generally. But they have wider application for two reasons :
1. taxable property rules associated with one form of QROPS and
2. a restriction on the tax relief available on pension contributions to high-earning UK residents.
The technical side
To be a QNUPS the overseas scheme must satisfy the same conditions necessary for a Recognised Overseas Pension Scheme (ROPS) (SI 2006/206) with the importannt exception that there is no necessity for there to be Double Taxation Treaty (DTA) with the overseas scheme’s jurisdiction if the scheme is outside of the European Economic Area. A DTA is not necessary because there are no reporting requirements from the QNUPS to HMRC.
The outcomes are that a QNUPS benefits from UK IHT exemption in respect of:
(a) UK tax-relieved pension funds that have been transferred to a QNUPS.
(b) contributions to a QNUPS and
(c) assets held by a QNUPS generally.
A QROPS will by definition be a QNUPS. But a QNUPS need not be a QROPS. This leads to the feasibility of using QNUPS as an ultimate destination for UK tax-relieved pension funds to gain further advantage.
A QNUPS (which is not a QROPS), is a good home for UK pension funds which were originally transferred to a QROPS. A QNUPS (which is not a QROPS) need have no specific investment restrictions and may for example invest in residential property and the like. But the key to this is transferring from the QROPS to a QNUPS.
For clarification we need to differentiate between “investment regulated” and “non-investment regulated” QROPS. This is a consequence of SI 2009 / 2047, effective August 2009. These taxable property provisions (relating to investment in residential property, fine wines, antiques, and the like) extend UK investment rules to some QROPS. If the QROPS is “investment regulated” then Paragraph 7A of Schedule 34 Finance Act 2004, provides for a 70% tax charge where investment is made into taxable property out of UK pension funds which have been transferred to the QROPS. But there are further implications.
What follows are direct quotes from the Registered Pension Schemes Manual (RPSM).
“A transfer from a UK pension scheme to a QROPS constitutes a Relevant Transfer Fund” (RPSM13102130). Then we have to consider whether that fund comprises a Taxable Asset Transfer Fund (TATF). All transfers from UK pension schemes to an investment-regulated QROPS since 6 April 2006 comprise a TATF.
This is important because: “A payment to a transfer member has to be notified to HMRC regardless of whether or not they have been non-resident for more than five tax years if it is deemed to have been made from their Taxable Asset Transfer Fund” (RPSM14101070).
An investment-regulated QROPS means that the member is able to direct or influence the investments made. Most Guernsey QROPS have concluded that they are not investment regulated. Some have not declared their hand and one considers the distinction to be “immaterial”. New Zealand QROPS are not investment-regulated pension schemes. Some Hong Kong QROPS have taken the same view. The same is likely to apply to schemes in Gibraltar, Isle of Man and Malta
For all QROPS / QNOPS information and advice http://www.360canaries.com/
Tuesday, April 6, 2010
Amazon on line for all Canary Islands
Link up to Amazon now and have your favourite books delivered to you on the Canary Islands!Amazon On Line
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