• Sectors we work in banner(2)

    Quick Reads

Opportunities for overseas investors buying English residential property

min read

Research by high-net-worth mortgage broker, Enness Global, found that non-UK resident purchasers could save significant sums by buying a property now compared with buying after April next year.  This is because non-UK resident purchasers currently pay the same amount of SDLT as UK purchasers and also benefit from the so called ‘SDLT holiday’.  

The nil rate band was temporarily increased back in July 2020 and you can read more about the detail of the SDLT holiday in our article here.  The SDLT holiday will cease to apply on 1 April 2021 but the government has come under pressure to extend it.  

President of the Law Society of England and Wales, David Greene, has highlighted that, whilst the SDLT holiday has increased transaction volumes “…. this surge in demand, together with operational constraints as a result of COVID-19, means average property transaction times are lengthening. In that context, the way the current relatively short holiday window ends abruptly based on completion dates poses significant risks for consumers as well as businesses in the market”.  However, it seems that the Government do not have any plans to extend it - Jesse Norman MP replied to a written parliamentary question on 17 November stating that “the Government does not plan to extend this relief and will continue to monitor the property market.” 

The end of the SDLT holiday coincides with date for the introduction of a new 2% surcharge (in addition to the current residential rates) on non-UK resident buyers of residential property.  Until now, the purchaser’s place of residence has not been relevant to the level of SDLT payable on a purchase. However, the new surcharge will mean that such purchasers could pay up to 17% in SDLT on the top slice of the purchase price.  You can read our comments about this here.

For overseas investors interested in buying UK residential property, the next few months will be crucial. It is not enough to simply exchange contracts ahead of 1 April 2021 because SDLT is charged according to the position as at completion (or earlier substantial performance).  However, there are some transitional rules for the 2% surcharge which affect contracts exchanged before 11 March 2020, in which case it may be possible to avoid the 2% surcharge.  

Our specialist property and tax lawyers would be pleased to assist on this increasingly complex area of law.

Research by high-net-worth mortgage broker, Enness Global, found foreign buyers could save £23,540 in stamp duty by buying now compared with buying after April next year.

Our thinking

  • IBA Annual Conference 2026

    Jean-Baptiste Beauvoir-Planson

    Events

  • Arbitration of Trust Disputes Webinar

    Thomas R. Snider

    Events

    min read
  • Hannah Catt writes in PrimeResi on the upcoming High-Value Council Tax Surcharge in the UK and why it needs careful design

    Hannah Catt

    In the Press

    min read
  • Costs in DIFC Employment Cases: Two New Decisions Confirm the Strength of Practice Direction 1/2025

    Peter Smith

    Quick Reads

    min read
  • The latest UK-Switzerland Services Deal: Is it a Game-Changer for Cross-Border Mobility?

    Paul McCarthy

    Quick Reads

    min read
  • Diversification, safe havens and the pivot to Asia for US Family Offices

    Hugh Dixon

    Quick Reads

    min read
  • William Longrigg writes in the Law Society Gazette on the potential return of Calderbank offers in family proceedings

    William Longrigg

    In the Press

    min read
  • Bloomberg quotes Gaven Cheong on proposed Hong Kong tax exemptions on carried interest

    Gaven Cheong

    In the Press

    min read
  • Family Offices want crypto – but who's helping them get there?

    Shaanil Senarath-Dassanayake

    Quick Reads

    min read
  • Succession, governance and the next generation in US Family Offices

    Hugh Dixon

    Quick Reads

    min read
  • Why the UK-India Trade Deal Matters for Private Capital

    Kim Lalli

    Quick Reads

    min read
  • Wei Kang comments on China’s new tax rule on offshore trusts in The Straits Times

    In the Press

    min read
  • A New Era of Wealth and Estate Planning for PRC High-Net-Worth Families

    Wei Kang

    Insights

    min read
  • Autumn Budget 2026: possible CGT changes and pre-budget planning

    Julia Cox

    Insights

    min read
  • Technology, AI and US Family Offices

    Hugh Dixon

    Quick Reads

    min read
  • Reaz Jafri quoted in CNBC on EU crackdown on Caribbean "golden passport" programmes

    In the Press

    min read
  • Charles Russell Speechlys named a ‘Firm to Watch’ by India Business Law Journal

    News

    min read
  • Simon Ridpath discusses Charles Russell Speechlys' strategic US expansion with Legal Business

    In the Press

    min read
  • Corporate Deal Highlights - A spotlight on H1 2026

    Sarah Wigington

    Insights

    min read
  • Phillip Colasanto authors article in Tax Notes Federal on strengthening procedural protections for third parties in IRS collections

    In the Press

    min read
Back to top