International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: s26A employees - duties wholly outside the UK
Where in a tax year:
- the conditions in ITEPA03/S41H(7) are all met;
- the duties of the individual’s employment are performed wholly outside the UK, and
- the relevant period falls wholly or partly within that year
then any securities income accruing during that part of the relevant period is treated as chargeable foreign securities income, and is therefore only taxable if remitted to the UK.