HC Deb 23 April 1940 vol 360 c106

Resolved, That all income from possessions out of the United Kingdom which falls within Case V of Schedule D, other than income which is immediately derived from the carrying on of any trade, profession or vocation, or arises from any office, employment or pension, shall be taxable under Rule 1 of the Rules applicable to the said Case V (which provides for the taxation of income irrespective of the receipt thereof in the United Kingdom).