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Contents

Official guidance
Employment Income Manual

EIM00505 · Employment income: general

  • EIM00510 · Employment income: introduction
  • EIM00511 · Employment income: general earnings
  • EIM00512 · Employment income: specific employment income
  • EIM00513 · Employment income: general earnings: amounts treated as earnings
  • EIM00515 · Employment income: earnings from an office or employment
  • EIM00520 · Employment income: meaning of earnings: non-cash earnings: earnings for NICs purposes
  • EIM00530 · Employment income: benefits in kind taxable as earnings: meaning of 'money's worth'
  • EIM00540 · Employment income: money's worth: benefits capable of being turned into money
  • EIM00550 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: example
  • EIM00560 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: example
  • EIM00570 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: benefits capable of being surrendered to the employer for money
  • EIM00580 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: benefits of direct monetary value to the employee: employer paying employee's debt: the pecuniary liability principle
  • EIM00585 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: the pecuniary liability principle: employer pays employee's council tax
  • EIM00590 · Employment income: benefits in kind treated as earnings under Section 62 ITEPA 2003: the pecuniary liability principle: operation of PAYE
  • EIM00600 · Employment income: earnings are not taxable unless they are from the employment
  • EIM00610 · Employment income: earnings from employment: important principles
  • EIM00620 · Employment income: earnings from employment: lump sum payments: general
  • EIM00630 · Employment income: earnings from employment: sums paid under the terms of a contract of employment
  • EIM00635 · Employment income: earnings from employment: sums paid under the terms of a contract of employment: example
  • EIM00640 · Employment income: earnings from employment: customary payments in respect of services
  • EIM00645 · Employment income: earnings from employment: customary payments in respect of services: example
  • EIM00650 · Employment income: earnings from employment: sums paid to an employee for not resigning, or for continuing to serve in the employment
  • EIM00655 · Employment income: earnings from employment: sums paid to an employee for not resigning, or for continuing to serve in the employment: example
  • EIM00660 · Employment income: earnings from employment: payment for loss of rights
  • EIM00670 · Employment income: sums paid to a continuing employee in lieu of remuneration
  • EIM00675 · Employment income: earnings from employment: sums paid to a continuing employee in lieu of remuneration: example
  • EIM00680 · Employment income: earnings from employment: sum paid to a continuing employee in respect of a variation in duties or terms of employment
  • EIM00690 · Employment income: earnings from employment: sum paid for restricting an employee's freedom within the employment
  • EIM00700 · Employment income: inducement payments: golden hellos
  • EIM00710 · Employment income: earnings from employment: sum paid for the surrender of an asset, or for the loss of a valuable right
  • EIM00720 · Employment income: earnings from employment: payments on taking up employment: ascertaining the facts
  • EIM00730 · Payments for additional duties
  • EIM00731 · Payments for 'image rights'
  • EIM00740 · Employment income: earnings from employment: payments out of employee benefit trusts
  • EIM00750 · Employment income: earnings from employment: compensation from a source other than the employment
  • EIM00760 · Employment income: earnings from employment: more than one reason for the payment
  • EIM00800 · Employment income: calculation of net taxable earnings
  • EIM00805 · Employment income: negative taxable earnings
  • EIM00810 · Employment income: negative taxable earnings
  • EIM00815 · Employment income: negative taxable earnings
  • EIM00820 · Employment income: negative taxable earnings
  • EIM00825 · Employment income: negative emoluments: the law before ITEPA
  • EIM00830 · Employment income: negative emoluments: effect of section 11 ITEPA 2003
  • EIM00835 · Employment income: what counts as negative earnings?
  • EIM00838 · Employment income: what does not count as negative earnings?
  • EIM00840 · Employment income: negative earnings: timing
  • EIM00842 · Employment income: negative earnings: examples
  • EIM00843 · Employment income: negative earnings: examples
  • EIM00844 · Employment income: negative earnings: examples
  • EIM00845 · Employment income: negative earnings: examples
  1. Employment income: general: contents
  2. Employment income: earnings from employment: sum paid for the surrender of an asset, or for the loss of a valuable right

EIM00710 | Employment income: earnings from employment: sum paid for the surrender of an asset, or for the loss of a valuable right

From HM Revenue & Customs · Employment Income Manual

Section 62 ITEPA 2003

A payment to someone on taking up employment may be compensation for the surrender of a personal asset or the loss of a valuable right unconnected with their employment. If it is, it will not be a profit from the employment. It will arise from something else.

If the sum received is capital and derives from an asset it may be taxable under the capital gains tax legislation (see CG12940).

In Hose v Warwick (27TC459) a lump sum paid to an employee on becoming a director of the company he worked for was held to be compensation for the transfer to the company of the valuable business connections he had built up for himself. It was not taxable as earnings within Section 62.

In Jarrold v Boustead (41TC701) the signing-on fee paid by a Rugby League club to a Rugby Union player was held to be for permanent loss of amateur status. The rules of the Rugby League prohibited signing-on payments except to someone relinquishing amateur status. The payment was thus not a payment of earnings from the employment but compensation for the permanent loss of his amateur status.

[Bear in mind that in the late 1950’s, when the Boustead case was heard, ‘amateur status’ was important. A sportsman who became a professional was barred for life from playing Rugby Union, and from competing in international athletics. Nowadays, of course, amateurism in sport has almost ceased to exist. In the modern era we would argue that the signing-on fee is taxable as earnings because the amateur status that the player had lost was of no real value. See EIM64160.]

In Pritchard v Arundale (47TC680) a senior partner in a firm of chartered accountants left the partnership to work for a company in return for a salary and shares in the company given to him by the principal shareholder. It was held that the shares were not taxable as earnings from the employment. There were three important features:

  • the shares came from a shareholder - not his future employer, the company

  • the shares did not have to be given back if Arundale died before taking up the appointment six months later

  • he was giving up a valuable right - his status as a partner.

Megarry J said he did not think:

“that this decision will provide any passport for tax-free emoluments disguised as initial lump sum inducements to enter an employment; for it is the realities of the payments that matter and not any disguises or labels with which they may be provided.”

It is important to establish all the facts that surround the making of a compensation payment (see EIM00720). (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

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