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Contents

Official guidance
Business Income Manual

BIM44500 · Specific deductions: employee benefit trusts

  • BIM44501 · Introduction
  • BIM44505 · Setting up costs
  • BIM44510 · Specific deductions - employee benefit trusts: main uses
  • BIM44515 · Used with employee share schemes
  • BIM44520 · Used with retirement benefit schemes
  • BIM44525 · Specific deductions - employee benefit trusts: used with accident benefit schemes
  • BIM44530 · Specific deductions - employee benefit trusts: used with healthcare trusts
  • BIM44535 · General-purpose EBTs
  • BIM44540 · General-purpose EBTs: deductions for employers’ contributions
  • BIM44555 · General-purpose EBTs: deductions for employers’ contributions: how to spot them
  • BIM44560 · General-purpose EBTs: deductions for employers’ contributions: capital or revenue expenditure
  • BIM44565 · General-purpose EBTs: deductions for employers’ contributions: whether wholly and exclusively
  • BIM44570 · General-purpose EBTs: deductions for employers’ contributions: timing of deductions
  • BIM44571 · General-purpose EBTs: deductions for employers' contributions: permanent disallowance of contribution
  • BIM44573 · General-purpose EBTs: timing of deductions for contributions
  • BIM44575 · General-purpose EBTs: timing of deductions for contributions: introduction
  • BIM44580 · General-purpose EBTs: timing of deductions for contributions: overview
  • BIM44585 · General-purpose EBTs: timing of deductions for contributions: what it applies to
  • BIM44595 · General-purpose EBTs: timing of deductions for contributions: qualifying benefits
  • BIM44600 · General-purpose EBTs: timing of deductions for contributions: qualifying expenses
  • BIM44605 · General-purpose EBTs: timing of deductions for contributions: computing adjustments
  • BIM44610 · General-purpose EBTs: timing of deductions for contributions: computing adjustments: example
  • BIM44611 · General-purpose EBTs: deductions for contributions: computing adjustments: example
  • BIM44615 · General-purpose EBTs: timing of deductions for contributions: payments ‘out of’ contributions
  • BIM44620 · General-purpose EBTs: timing of deductions for contributions: transfers of assets to employees
  • BIM44630 · General-purpose EBTs: timing of deductions for contributions: interaction of Corporation Tax rules with employee share schemes deductions
  • BIM44635 · General-purpose EBTs: timing of deductions for contributions: interaction with unpaid remuneration rules
  1. Specific deductions: employee benefit trusts: contents
  2. Specific deductions: employee benefit trusts: general-purpose EBTs: deductions for employers’ contributions: whether wholly and exclusively

BIM44565 | Specific deductions: employee benefit trusts: general-purpose EBTs: deductions for employers’ contributions: whether wholly and exclusively

From HM Revenue & Customs · Business Income Manual

S34(1)(a) Income Tax (Trading and Other Income) Act 2005, S54(1)(a) Corporation Tax Act 2009

Whether an employer’s contribution to a general-purpose employee benefit trust is usually allowable as a deduction (at some time) depends on whether it is:

  • revenue (not capital) expenditure (see BIM44560); and

  • wholly and exclusively for the purposes of the employer’s trade.

Wholly and exclusively

General guidance on whether expenditure satisfies the ‘wholly and exclusively’ requirement is at BIM37000 onwards.

Whether employers’ contributions to employee benefit trusts are wholly and exclusively for the purposes of the employer’s trade, and serve no other purpose, will depend on the facts of each case. Cases in which there may be most doubt about this will be close companies where directors who are also shareholders may be able to benefit from the trust.

The Special Commissioners’ decision in Mawsley Machinery Ltd v Robinson [1998] SpC170 is an example of a contribution to an employee share ownership trust which was not wholly and exclusively for the purposes of the company’s trade. The company was substantially owned by one shareholder/director. There was evidence that one of the purposes (indeed the primary purpose) for funding the trust was to purchase his shares in the run up to his retirement.

The tax case law in this area relates mainly to employee benefit trusts set up to provide share-related benefits to employees and directors (employee share ownership trusts). More detailed information about the relevant tax case law is at BIM44458.

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