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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: compensation from a source other than the employment

EIM00750 | Employment income: earnings from employment: compensation from a source other than the employment

From HM Revenue & Customs · Employment Income Manual

Section 62 ITEPA 2003

To be taxable as earnings within Section 62 ITEPA 2003 a payment must come from the employment (see EIM00600).

Sometimes an employee will receive a payment that they would not have received but for the fact that they are an employee. That on its own is not sufficient to make the payment taxable as earnings within Section 62. Lord Woolf, in Mairs v Haughey (66TC273) explained that the authorities had consistently held that a sum paid to relieve distress is not earnings. Additionally there may be separate consideration for the payment showing that the payment does not arise from the employment (see EIM00710).

In Hochstrasser v Mayes (38TC673) an employee received the difference between the purchase and sale price of his house. The payment was made under the employer’s housing scheme relating to employees transferred from one part of the country to another. Under the scheme a transferred employee was reimbursed any loss he sustained on selling his house but he had first of all to offer to sell the house to his employer at market value. It was held that the payment was not a profit from the employment.

The source of the payment was the housing scheme not the employment. In Laidler v Perry (42TC351), Lord Hodson said at page 366 that the decision in Hochstrasser v Mayes:

“…depended on its own peculiar facts, there being a collateral agreement between employer and employee quite outside their contracts of service to compensate the employees for any loss they might incur on selling their houses on transfer from one part to another.”

In the High Court in Hochstrasser v Mayes, Upjohn J said that to be a profit from the employment a payment “must be in the nature of a reward for services past, present or future”. Decisions in later cases have shown the words “reward for services” should not be taken literally. In Bray v Best (61TC704) Lord Oliver said:

“I cannot read the phrase ‘reward for services’ as anything more than a conventional expression of the notion that a particular payment arises from the existence of the employer-employee relationship and not, to use Lord Reid’s words in Laidler v Perry (42TC351), from ‘something else’.” (page 752)

Other decided cases that demonstrate that taxable earnings do not have to be remuneration or reward for services include Brumby v Milner (51TC583) (see EIM00740) and Hamblett v Godfrey (59TC694) (see EIM00690).

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