These Regulations may be cited as the International Tax Compliance (Amendment) Regulations 2020 and come into force on 13th May 2020.
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The International Tax Compliance (Amendment) Regulations 2020
(1) The International Tax Compliance Regulations 2015 are amended as follows.
(2) In regulation 1(3)(b)(i), for “16th May 2019” substitute “19th April 2020” .
(3) In regulation 3(4A)(a), at the beginning insert “subject to regulation 24(3)”.
(4) In regulation 24—
(a) in the table in paragraph (2), in the column headed “the CRS”—
(i) at the beginning of the entry for “new account” insert “subject to paragraph (3)”, and
(ii) at the beginning of the entry for “pre-existing account” insert “subject to regulation 3(4A)(a) and paragraph (3)”, and
(b) after paragraph (2) insert—
(3) In respect of the accounts listed in paragraph (4)—
(a) “new account” means a financial account maintained by a reporting financial institution opened on or after 13th May 2020;
(b) “pre-existing account” means—
(i) a financial account maintained by a reporting financial institution as of 12th May 2020, or
(ii) a financial account within Section VIII(C)(9)(b) of Annex 1 of the DAC , but in the application of that provision the references to “subparagraph C(9)(a)” are to be read as references to paragraph (i) of this sub-paragraph.
(4) The accounts are—
(a) non-registered pension arrangements where the annual contributions are limited to £50,000 and funds contributed cannot be accessed before the age of 55 except in circumstances of serious ill health;
(b) Premium Bonds issued by the UK National Savings and Investments;
(c) Fixed Interest Savings Certificates issued by the UK National Savings and Investments; and
(d) Index Linked Savings Certificates issued by the UK National Savings and Investments.
(5) In Schedule 2, omit paragraphs 2, 6, 8 and 9.
(1) For the purposes of the International Tax Compliance Regulations 2015, in relation to an account that by virtue of regulation 2(5) ceases to be an excluded account, the calendar year 2020 is treated as beginning on 13th May 2020 and ending on 31st December 2020.
(2) Where in consequence of paragraph (1) it is necessary to apportion an amount for the calendar year 2020 to the period ending immediately before 13th May 2020 and the period beginning with that date, it is to be apportioned—
(a) on a time basis according to the respective length of the periods, or
(b) if that method would produce a result that is unjust or unreasonable, on a just and reasonable basis.
Cite this legislation
The International Tax Compliance (Amendment) Regulations 2020 (legislation.gov.uk, OGL v3.0). Retrieved via LawPlayer, https://lawplayer.com/uk/act/uksi-2020-438 (accessed 2026-07-07)
Contains public sector information licensed under the Open Government Licence v3.0.
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