Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Employee Tax Advantaged Share Scheme User Manual

ETASSUM23000 · Schedule 2 share incentive plan (SIP): Shares that may be awarded

  • ETASSUM23100 · Introduction
  • ETASSUM23110 · Eligible shares
  • ETASSUM23120 · When requirements must be satisfied
  • ETASSUM23130 · Status of the company and its share capital
  • ETASSUM23140 · Control of the company establishing the plan
  • ETASSUM23150 · Control by a consortium
  • ETASSUM23160 · Ordinary share capital
  • ETASSUM23170 · Deferred shares
  • ETASSUM23180 · Convertible preference shares
  • ETASSUM23190 · Depository receipts
  • ETASSUM23200 · Swiss bearer participation certificates
  • ETASSUM23210 · Permanent Interest Bearing shares (PIBs)
  • ETASSUM23220 · Company status
  • ETASSUM23230 · Control by another company
  • ETASSUM23240 · Recognised stock exchange (RSE)
  • ETASSUM23250 · Close company
  • ETASSUM23260 · Normal shares
  • ETASSUM23270 · Fully paid up shares
  • ETASSUM23280 · Non-redeemable shares
  • ETASSUM23290 · Permitted restrictions - Forfeiture
  • ETASSUM23300 · What amounts to a restriction
  1. Schedule 2 share incentive plan (SIP): Shares that may be awarded: Contents
  2. Schedule 2 share incentive plan (SIP): Shares that may be awarded: Ordinary share capital

ETASSUM23160 | Schedule 2 share incentive plan (SIP): Shares that may be awarded: Ordinary share capital

From HM Revenue & Customs · Employee Tax Advantaged Share Scheme User Manual

Eligible shares must form part of the ordinary share capital of the company whose shares are used as eligible shares (see ETASSUM23130).

“Ordinary Share Capital” is defined in Section 989 ITA 2007. It means all of the company’s share capital other than that capital which has a right to a fixed rate dividend but having no other rights to share in the profits of the company.

It does not matter whether or not the class of shares in question is called “ordinary”. For example, shares described as “preference shares” can be ordinary share capital if the rights they confer satisfy the definition in Section 989 ITA 2007.(see CTM00512).

“The following may be accepted as ordinary share capital:

  • shares with a right to “tiered” dividends e.g. 8% for year 1, 9% for year 2, 10% thereafter. This is acceptable on the basis that “tiered” rates do not amount to a fixed rate. Support for this interpretation can be derived from the use of the singular “a fixed rate” in Section 989 ITA 2007 and from the meaning assigned there to “preference dividend” which contrasts fixed rates with variable rates,

  • shares which have a right to the greater of a specified sum or the dividend paid in respect of another class of shares,

  • shares with no dividend rights (we do not contend that they carry the right to a fixed dividend of 0%).

PreviousNext
PrivacyTerms