Financial planning, pensions and wealth management explained for British Expats in Ireland

Relocating to Ireland from the UK brings major, and often unexpected, financial changes. From how your UK investments are taxed to the new inheritance tax rules, every aspect of your wealth, including pensions, savings, property and currency exposure, needs careful review. This article explains how to align your financial planning with Irish regulations, manage investment risk across two currencies and ensure your estate, pensions and tax reporting remain compliant in both countries.

uk passport with euros inside
  • Author Experts for Expats
  • Country Ireland
  • Nationality British
  • Reviewed date

The financial side of relocating from the UK to Ireland is often misunderstood due to the proximity and similarities between Ireland and the UK.

On the surface, the UK and Ireland feel familiar. In practice, they are two different tax systems, two different regulatory regimes and two different currencies. Those differences affect how your existing UK assets are taxed, what you can and cannot contribute to, and how you plan for retirement if you expect to spend most of your life, or at least your later life, in Ireland rather than in the UK.

This guide explains the key wealth management considerations for people moving to Ireland from the UK, including how UK investments are treated in Ireland, pension options, planning for retirement income in two currencies and what you need to know about financial regulation and advice.

Disclaimer

The information in this article is for general guidance only. It does not constitute personal financial advice, pension advice or tax advice. Tax and regulatory rules can change and how they apply depends on your circumstances. You should always seek independent, regulated advice in both the UK and Ireland before making any decision.

How residency affects tax and investment planning

When you move to Ireland, one of the first major shifts is tax residency. Once you become tax resident in Ireland, Ireland generally expects you to declare and potentially pay tax on your worldwide income and gains, not just income from Irish sources.

This matters if you intend to keep UK investments, UK rental property or UK pensions. You may still have UK filing or UK tax to pay in some cases, but Ireland can also begin taxing the same income. The starting point for any wealth plan is therefore: where will you be tax resident, when, and how soon will Ireland begin to view you as taxable on everything you earn and grow.

It is common to move before fully thinking that through. For example, selling UK assets after you arrive in Ireland can have a very different tax outcome than selling them before you become Irish resident. Advance planning is not about avoidance. It is simply about understanding which country has the first right to tax which asset at which moment, and what reliefs exist so you are not taxed twice.

How UK investments are taxed in Ireland

If you hold UK investments such as general investment accounts, ISAs, UK funds or UK buy-to-let property, moving to Ireland changes how those assets are viewed.

ISAs

In the UK, ISAs are typically free of UK income tax and capital gains tax. Once you become resident in Ireland, the ISA wrapper is generally not recognised in the same way. Income and gains from assets inside an ISA can become taxable in Ireland. In other words, what was ring-fenced in the UK may no longer be ring-fenced once you are in Ireland.

For most people this is a shock. They assume their ISA remains tax free forever, wherever they live. That is not how Ireland sees it. If you are planning a permanent or long-term move, you need to decide whether to keep those holdings, restructure them or realise gains at a time that is more tax efficient. This can only really be judged on your timeline and future residency position, which is why getting advice before you move is critical, not after.

UK collective investments and funds

Irish tax can treat certain non-Irish funds in a specific way, sometimes resulting in a flat tax charge on so-called offshore funds and specific reporting obligations. This is not the same framework that applies in the UK.

The result is that a fund or ETF that is simple and tax efficient in the UK might generate an unexpected Irish tax position once you live in Ireland. You should not assume that a UK-approved structure will continue to be efficient, or even suitable, once you cross the Irish Sea.

Rental income from UK property

If you keep a UK rental property, you will typically remain liable for UK tax on that rental income. Once you are resident in Ireland, Ireland can then tax that same rental income as part of your worldwide income.

Tax relief is normally available through the double tax treaty so you are not fully taxed twice on the same money, but you still have to report it correctly in both jurisdictions and understand that your Irish tax banding and Irish effective rates may now apply to something you originally bought purely as a UK investment.

Capital gains on UK assets

Disposals of UK shares, property or other assets once you are Irish resident can create a capital gains tax liability in Ireland, even if those assets are in the UK. Timing matters. The same disposal one month earlier, while you were still UK resident, could be treated completely differently.

People often assume they can sort it out later. Unfortunately, later can mean you are now in a different tax system with a different set of rates and allowances. For higher-value assets, getting advice on sequencing (what to sell, when, and in which country you are resident at the time) can make a major difference to your final after-tax amount.

Pensions when moving from the UK to Ireland

Your pension is usually your biggest long-term financial asset, and it is the area where mistakes are the hardest to fix.

UK workplace and private pensions

If you have UK defined contribution pensions or previous workplace schemes, you do not automatically lose them or have to cash them in when you move to Ireland. However, leaving them untouched without reviewing how they fit your Irish retirement plan can be risky for a few reasons:

Transferring pensions from the UK

In some cases people consider transferring a UK pension into a structure recognised outside the UK, for example to align currency, consolidate pots, or bring the pension into the country where they expect to retire. This is not something to do casually.

There are several reasons:

This is an area where you must take specialist, regulated pension advice that covers both jurisdictions. A generic adviser who is only authorised in one country may not be allowed to advise you across both systems.

State pensions in the UK and Ireland

The UK State Pension and the Irish State Pension are separate systems, built on separate contribution records and paid in different currencies. You should not assume that years paying National Insurance in the UK will automatically produce the retirement income you expect in Ireland on a like-for-like basis.

If you intend to retire in Ireland, you need to know:

At the same time you should understand how the Irish State system works, including eligibility, contribution requirements and retirement age. The two systems are not interchangeable.

Investment planning across two currencies

Once you relocate, your income, savings and future goals may exist in different currencies. That exposes your investments to exchange-rate risk and regulatory differences that can affect returns, taxation and long-term financial stability.

A successful investment strategy depends not just on performance, but on where your assets are held, what currency they are denominated in and how long you intend to stay in Ireland.

Short- and medium-term relocation considerations

If your move is temporary or you plan to return to the UK within a few years, maintaining some sterling-denominated investments may make sense. However, you will need to plan how to fund euro-based living costs in the meantime.

Long-term investment alignment

If your move is permanent or open-ended, your investments should eventually align with the country in which you live and spend.

Managing investment risk across borders

Cross-border investors face additional risk beyond currency:

Professional advisers can help coordinate investment and currency strategy as part of one plan. This ensures transfers are handled efficiently, income is paid in the right currency and tax obligations are met without duplication.

Whether you are staying in Ireland for five years or for life, aligning your portfolio, currency exposure and tax position early will make your finances more resilient and your long-term returns more stable.

Investment strategy after you move to Ireland

After you become resident in Ireland, you should review:

A joined-up approach between UK and Irish advisers is vital to avoid duplication, unnecessary taxation or reporting issues.

Tax-efficient investment options in Ireland

Once you become Irish tax resident, the investment landscape operates differently from the UK. There are no ISAs or direct equivalents, but there are Irish-approved ways to invest efficiently:

Holding only sterling-based UK investments can expose you to exchange volatility and additional Irish reporting obligations. A review of your portfolio’s tax status, currency balance and future location should be part of your relocation planning.

Inheritance tax and estate planning when moving to Ireland

Inheritance tax planning now affects many British nationals, not just the wealthy. Since April 2025, the UK has replaced the domicile-based inheritance tax system with one based on long-term residence.

UK IHT changes from April 2025

This change means that moving to Ireland does not immediately take your estate outside the reach of UK IHT. Even after you become Irish resident, you may still face UK tax on your worldwide estate depending on your previous residence pattern.

Irish inheritance and gift tax (Capital Acquisitions Tax)

Ireland taxes gifts and inheritances through Capital Acquisitions Tax (CAT). CAT applies if either the giver or the beneficiary is Irish resident, or if the asset itself is in Ireland. Rates are generally 33 per cent on the value above the applicable threshold, which varies by relationship.

If you have family in both countries, this can lead to overlapping tax claims. The UK–Ireland double taxation treaty provides limited relief, but you will usually need coordinated estate planning to manage exposure in both systems.

Practical steps you can take before you move to Ireland

Inheritance tax is no longer a concern only for high-value estates. With frozen allowances and property growth, many ordinary homeowners may now be affected. Planning early gives you the greatest flexibility to reduce exposure.

High-net-worth considerations and cross-border wealth

For high-net-worth individuals, moving to Ireland brings additional complexity. Significant wealth often involves trusts, corporate structures and multiple residences across jurisdictions, each of which can create tax obligations in both countries.

Trusts and structures

A UK trust that continues while you are Irish resident can create Irish reporting requirements and potential exposure to CAT or income tax. Similarly, shifting management or control of a UK company to Ireland could make it Irish tax resident, bringing profits within Irish corporation tax.

Business and entrepreneurial wealth

If you own a UK business, moving your personal residence may affect where profits are taxed and whether dividends are treated as foreign income in Ireland. Early advice helps prevent double taxation or accidental re-residency for your company.

Global investment alignment

Irish-regulated funds and life-assurance products may offer compliant and tax-efficient alternatives to UK or offshore holdings. Aligning investment structures to your new residence reduces complexity and keeps reporting consistent with Irish requirements.

For wealthier families, the goal is coordination rather than wholesale restructuring. Understanding where your assets are located, which country taxes them and how they will be inherited is critical to long-term stability.

Regulation, advice and the limits of the FCA

The Financial Conduct Authority (FCA) regulates UK advisers, but their permissions do not automatically extend to advising residents in Ireland. If you act on advice beyond an adviser’s authorised scope, your consumer protections may not apply.

Ireland’s financial advisers must be authorised by the Central Bank of Ireland. After relocation, ensure that whoever advises you is either dual-qualified or part of a cross-border advisory arrangement. This ensures you remain fully protected and compliant under both regimes.

Practical financial checklist before you move to Ireland

Before relocating to Ireland, you should aim to:

Frequently asked questions

How will Ireland tax my UK ISA?

Ireland does not recognise the ISA wrapper, so income and gains from ISA investments can become taxable once you are resident.

Can I keep my UK pension if I retire in Ireland?

Yes, but withdrawals may be taxed differently and exchange rates will affect the real value of your income.

Do I still pay UK inheritance tax after moving to Ireland?

If you were UK resident for at least 10 of the past 20 years, your worldwide estate may remain within UK IHT for up to 10 years after leaving. Ireland may also tax Irish-situated assets and inheritances to Irish-resident beneficiaries.

Are Irish investment products tax efficient?

Irish life-assurance bonds, regulated funds and pensions offer locally compliant ways to invest tax-efficiently, though they operate differently from UK ISAs and SIPPs.

Do I need separate financial advisers in both countries?

Ideally yes. Cross-border specialists can coordinate UK and Irish advice to ensure your plan remains compliant and efficient in both systems.

When to speak to a specialist

You should speak to a cross-border financial and tax specialist if:

A free discovery call with a regulated specialist before you relocate can help you build a strategy that protects your savings, reduces exposure to double taxation and prepares your estate for life in Ireland.

Request a free introduction to a cross border specialist

If you are planning a move to Ireland and want to understand how Irish tax, UK pensions, currency and retirement income all fit together, we can arrange a free, no-obligation introduction to a trusted cross-border financial specialist.

They will review your position, explain your options and outline what you should be doing now, before you move.

Reducing the stress and complexity of living abroad

City view