Income Tax Act |
Income Tax (Exemption of Income of Foreign Trusts) Regulations |
Rg 24 |
G.N. No. S 92/1994 |
REVISED EDITION 1995 |
(1st April 1995) |
[18th March 1994] |
Citation |
1. These Regulations may be cited as the Income Tax (Exemption of Income of Foreign Trusts) Regulations and shall have effect for the year of assessment 1994 and subsequent years of assessment. |
Definitions |
2. In these Regulations —
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Foreign trust to which Regulations apply |
Exemption |
3.—(1) Subject to paragraph (2) and regulations 4 and 5, there shall be exempt from tax the specified income from designated investments derived by —
[S 590/2005 wef Y/A 2004 & Sub Ys/A]
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Deduction of certain losses not allowed |
4. No deduction shall be allowed under the Act to any eligible holding company or foreign trust in respect of any loss arising from any transaction that would have been exempted from tax under regulation 3 had it resulted in a gain or profit. [S 590/2005 wef 01/06/2003] |
Regulations not applicable to certain foreign trusts |
5. These Regulations shall not apply to a foreign trust where any settlor or beneficiary or unit holder (as the case may be) of the foreign trust is a company which —
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Keeping of records |
6. Every trustee company shall keep and maintain in respect of a foreign trust such records of the particulars of every settlor and beneficiary or unit holder (as the case may be) of the foreign trust as may be required by the Minister or such person as he may appoint for the purposes of these Regulations. [S 590/2005 wef Y/A 2004 & Sub Ys/A] |
Additional assessment on income of foreign trust or eligible holding company in certain circumstances |
7.—(1) Where a trust ceases to be a foreign trust for the purposes of these Regulations for failing to satisfy the condition referred to in paragraph (2)(a)(iii) or (b) of regulation 2A, the Comptroller may assess the trustee of the foreign trust or the eligible holding company established for the purposes of that foreign trust, as the case may be, under section 74 of the Act on any income of that foreign trust or eligible holding company that was exempted from tax under these Regulations.
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