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  • RE: Rental income from Singapore property

    Dear HMRC admin, I had the same query as the above user. However, I think Admin 25's advice in the latest response doesn't seem to correctly reflect what is meant in Article 6: "Income derived by a resident of a Contracting State from immovable property (including income from agriculture or forestry) situated in the other Contracting State may be taxed in that other State." This seems to indicate that, income derived by a resident of UK from a property located in Singapore will be taxed by Singapore. Does this gives exclusive taxing rights to Singapore where the property is located, and therefore no UK tax is payable? Thanks in advance for your review and advice.