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Official guidance
Employment Income Manual

EIM30500 · Deductions: directors' and officers' liabilities

  • EIM30501 · General
  • EIM30505 · Deductions: directors’ and officers’ liabilities: relief due
  • EIM30507 · Deductions: directors’ and officers’ liabilities: cases to be dealt with by an Inspector
  • EIM30509 · Deductions: directors’ and officers’ liabilities: amounts on which relief due
  • EIM30511 · Deductions: directors’ and officers’ liabilities: qualifying liabilities
  • EIM30513 · Deductions: directors’ and officers’ liabilities: qualifying contracts of insurance
  • EIM30517 · Deductions: directors'; and officers'; liabilities: qualifying contracts of insurance: excluded contracts: connected contracts
  • EIM30519 · Deductions: directors’ and officers’ liabilities: qualifying contracts of insurance: apportionment where more than one risk or person covered
  • EIM30521 · Deductions: directors’ and officers’ liabilities: qualifying contracts of insurance: dispensations
  • EIM30523 · No relief due on matters that it is unlawful to insure against
  • EIM30530 · Deductions: directors’ and officers’ liabilities: relief for ex-employees
  • EIM30532 · Deductions: directors’ and officers’ liabilities: relief for ex-employees: relief for "excess" liabilities
  • EIM30534 · Deductions: directors and officers liabilities: relief for ex-employees: time limits
  1. Deductions: directors' and officers' liabilities: contents
  2. Deductions: directors’ and officers’ liabilities: relief for ex-employees: relief for "excess" liabilities

EIM30532 | Deductions: directors’ and officers’ liabilities: relief for ex-employees: relief for "excess" liabilities

From HM Revenue & Customs · Employment Income Manual

Section 555(6) and 556A ITEPA 2003, Section 67 FA 2009

If the deduction due for a year under Section 555(6) ITEPA 2003 exceeds the ex-employee’s total income in that year the excess is treated for capital gains tax purposes as an allowable loss accruing for that year.

However, that loss can be used only to off-set the excess (if any) of actual gains arising over losses incurred in the year (see CG15803).

No deduction is allowed for a payment that would otherwise meet the conditions of section 555 if it is made in pursuance of arrangements the main purpose, or one of the main purposes of which, is the avoidance of tax.

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