Skip to content
International Adviser
  • Contact
  • Login
  • Subscribe
  • Regions
    • United Kingdom
    • Middle East
    • Europe
    • Asia
    • Africa
    • North America
    • Latin America
  • Industry
    • Tax & Regulation
    • Products
    • Life
    • Health & Protection
    • People Moves
    • Companies
    • Offshore Bonds
    • Retirement
    • Technology
    • Platforms
  • Investment
    • Equities
    • Fixed Income
    • Alternatives
    • Multi Asset
    • Property
    • Macro Views
    • Structured Products
    • Emerging Markets
    • Commodities
  • IA 100
  • Best Practice
    • Best Practice News
    • Best Practice Awards
  • Media
    • Video
    • Podcast
  • Directory
  • My IA
    • Events
    • IA Tax Panel
    • IA Intermediary Panel
    • About IA

ANNOUNCEMENT: Read more financial articles on our partner site, click here to read more.

SIGN IN INTERNATIONAL ADVISER

Access full content on the International Adviser site, access your saved articles, control email preferences and amend your account details

[login-with-ajax]
Not Registered?

hmrc adds meaningful connection clause

20 Nov 11

HM Revenue & Customs has added a requirement that individuals looking to use the Liechtenstein Disclosure Facility provide greater proof that they have a meaningful connection to a Liechtenstein than was previously necessary.

HM Revenue & Customs has added a requirement that individuals looking to use the Liechtenstein Disclosure Facility provide greater proof that they have a meaningful connection to a Liechtenstein than was previously necessary.

From 1 Dec, HMRC will be looking for this proof in the form of a “confirmation of relevance” from the financial intermediaries of UK taxpayers seeking to make a declaration through the LDF, the Revenue says, in an amendment to an existing frequently asked questions document that supplements the main LDF memorandum of understanding.

“With effect from 1 Dec 2011, you will need to provide this to HMRC at the point of registering for the LDF, and HMRC will not be able to admit registrations without the confirmation of relevance from that date,” the HMRC amendment, dated 11 Nov, adds.

“Although no financial limits are set by HMRC, financial intermediaries are expected to apply minimum investment levels or other qualifying terms.”

Liechtenstein concern

HMRC’s addition of the ‘meaningful connection’ phrase  to its FAQs is being viewed as a sign that Liechtenstein’s wealth management industry is concerned it could lose funds, and clients, once those individuals who moved assets to the country’s banks and financial institutions  have finished taking advantage of the LDF terms, notes Frank Strachan, head of tax at London law firm LSG Solicitors.

“Liechtenstein wealth management firms want higher levels of funds under management, so that they can demonstrate their capability to successfully manage such funds, but our experience is that LDF cases are concluded so swiftly that the Liechtenstein financial institutions don’t have sufficient time to demonstrate such capability,” Strachan adds.

“Higher investment entry points provide Liechtenstein with a greater chance of developing itself [as] a credible long term wealth management centre long after the LDF is consigned to the history books.”

The LDF is a tax “amnesty” that was conceived by HMRC, in cooperation with Liechtenstein’s government, to encourage UK taxpayers with undisclosed offshore accounts to formally declare them, in exchange for a relatively less severe penalty than they would face if they came forward in the UK, or were found out by the increasingly-aggressive HMRC investigations team.

Not new

The concept of having to show a “meaningful connection” to Liechtenstein in order to make a disclosure under the LDF is not new, but dates back to 2009, when the scheme was launched.

Earlier this year, HMRC clarified that it regarded this as meaning that a taxpayer seeking to make a disclosure under the facility would entrust a minimum of 5% of his or her assets in a Liechtenstein financial institution.

Evidently aware that it might seek to change the required minimum, HMRC has said that disclosures made under terms that required a lower investment minimum would not be affected if that minimum amount were later raised, as it apparently is doing.

FAQs

In addition to adding the new “confirmation of relevance” requirement, HMRC has also added eight new FAQs, numbered 3.6 through 3.11. These have to do with queries that might arise in connection with the new confirmation of relevance, such as, “if I register before 1 Dec 2011 will HMRC require a confirmation of relevance?” (to which the answer is “no, but we will require evidence that you have relevant property in Liechtenstein”).

Tags: HMRC | Liechtenstein | Liechtenstein Disclosure Facility

Share this article
Follow by Email
Facebook
fb-share-icon
X (Twitter)
Post on X
LinkedIn
Share

Related Stories

  • Latest news

    UK government confirms pre-1997 indexation for PPF members

    Guernsey flag

    Industry

    Guernsey financial regulator to increase fees by 3.9%

  • Europe

    Hoxton Wealth: Two overlooked measures in UK Budget that could impact expats

    Industry

    Skybound Wealth unveils dedicated cross-border support desk within Athletes & Creators division


NEWSLETTER

Sign Up for International
Adviser Daily Newsletter

subscribe

  • View site map
  • Privacy Policy
  • Terms and Conditions
  • Contact

Published by Money Map Media – part of G&M Media Ltd Copyright (c) 2024.

International Adviser covers the global intermediary market that uses cross-border insurance, investments, banking and pension products on behalf of their high-net-worth clients. No news, articles or content may be reproduced in part or in full without express permission of International Adviser.