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Surprise 25% Qrops charge rocks UK pension transfer market

The UK government’s shock decision to impose a 25% charge on transfers to foreign pension schemes announced in the Spring Budget could go as far as to “shut down” the Qrops market, according to industry observers.

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The change was announced by chancellor Philip Hammond on Wednesday.

Andrew Tully, pensions technical director at Retirement Advantage, said: “This appears to be a significant shutting down of the Qrops market, restricting overseas transfers to situations where people have an overseas employer’s scheme or the Qrops is in the EEA.

“The government has been increasingly concerned about the use of these schemes for the past few years and this appears a major move to reduce their use.”

The change had been anticipated by some in the industry but not quite so soon.

David White, partner at The Qrops Bureau, said: “We expected this might be a possible change which HM Revenue & Customs would make post Brexit, but we are surprised that it has been made sooner.”

Tax change

The 25% charge will affect those requesting an overseas pension transfer on or after 9 March 2017.

It is targeted at individuals seeking to reduce their tax payable by moving their pension wealth to another jurisdiction.

In his speech in parliament, Hammond said that his Budget would “tackle abuse of foreign pension schemes”.

There are generally between 10,000 and 20,000 transfers to Qrops each year, HMRC said. It is expected that only a minority of these transfers will be subject to this policy.

The government expects to net between £60m ($73.3m, €69.3m) and £65m each year during the five years to 2022.

Significantly affect transfer options

John Westwood, group managing director of Blacktower Financial Management, echoed the Tully’s sentiments, saying: “At face value, this could significantly affect clients pension transfer options, so further clarity is urgently required.”

Westwood said that Blacktower is currently in discussions about the change and “eagerly awaits commentary from the Qrops industry”.

Stewart Davies, group chief executive of Momentum Pensions, said the company is “extremely concerned” about the announcement, which is “in all but name, a tax on geographically mobile people who are assiduously planning for their future and providing for their retirement.

“The fact it will come into play so quickly is concerning, as this will leave many advisers unprepared and uncertain about what to advise, which is as far from the ideal as you can get in a pensions sector which should be encouraging transparency and clarity in processes.”

Severe deterrent

Tom Selby, senior analyst at AJ Bell, believes the 25% levy will act as a “severe deterrent to abuse the system”.

“Qrops were originally designed to make it easier for people leaving the UK to retire to another country and take their pension with them. However, the structure has increasingly been manipulated by those looking to artificially cut their tax bills,” Selby said.

Second class option

“Without looking at the finer details that will no doubt become more apparent in the coming days, it is clear that Qrops will no longer be a viable option for many outside of the EU – with a few exceptions,” said James Caldwell, chief executive of Aisa Group.

“If you consider previous rule changes and this new announcement, Qrops are now very much a second class option compared to UK pensions.”

Caldwell said that anyone outside of the EU in particular “should only take advice from UK regulated IFAs that work with a local adviser in the country of residence of the client and now the Qrops”.

Not all schemes included

Exceptions to the charge will apply to allow transfers to be made tax-free where people have a genuine need to transfer their pension, including when the individual and the pension are both located within the European Economic Area.

White said: “The change is in line with the way pension schemes are taxed in the US. The reason that transfers to EEA schemes has been left out at the moment is that HMRC can’t tax these transfers under EU freedom of movement of capital rules.

“The fact that EEA is excluded does mean that transfers to Malta Qrops, when the member lives in the EEA should not be effected.”

Other exceptions include:

  • both the individual and the Qrops are in the same country after the transfer;
  • the Qrops is an occupational pension scheme sponsored by the individual’s employer;
  • the Qrops is an overseas public service pension scheme as defined at regulation 3(1B) of S.I. 2006/206 and the individual is employed by one of the employer’s participating in the scheme; and,
  • the Qrops is a pension scheme established by an international organisation as defined at regulation 2(4) of S.I. 2006/206 to provide benefits in respect of past service and the individual is employed by that international organisation.

According to an HM Revenue & Customs (HMRC) paper, the 25% charge ensures that transfers to Qrops will be taxable unless they fall under the exceptions outlined above.

The tax charge will be deducted before the scheme administrator or scheme manager makes the transfer.

Widens taxing provisions

HMRC also said the change widens the scope of UK taxing provisions so that, following a transfer to a Qrops on or after 6 April 2017, they apply to payments out of those transferred funds in the five tax years following the transfer.

This is regardless of whether or not the individual is resident in the UK.

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