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Contents

Official guidance
Employment Income Manual

EIM42700 · Waivers of remuneration and salary sacrifice

  • EIM42705 · Waivers of remuneration: overview
  • EIM42710 · Waivers of remuneration: more detail
  • EIM42715 · Waivers of remuneration: application of income
  • EIM42720 · Waivers of remuneration: waiver of salary: example
  • EIM42725 · Waivers of remuneration: waiver of bonus: example
  • EIM42730 · Disallowance of director's remuneration for corporation tax purposes: consequential adjustment of employment income
  • EIM42735 · Director's undrawn remuneration lost in company's liquidation: adjustment of employment income
  • EIM42740 · Director's undrawn remuneration lost in company's liquidation: adjustment of employment income: handling points
  • EIM42750 · Salary sacrifice: what is a salary sacrifice: arrangement of guidance
  • EIM42752 · Salary Sacrifice: reason for sacrifice
  • EIM42753 · Salary Sacrifice: how the changes to the employment contract are made
  • EIM42755 · Salary sacrifice: income tax effects of salary sacrifice
  • EIM42760 · Salary sacrifice: conditions for successful salary sacrifice: summary
  • EIM42765 · Salary sacrifice: conditions for successful salary sacrifice: timing
  • EIM42766 · Salary sacrifice: conditions for successful salary sacrifice: entitlement to cash
  • EIM42767 · Salary sacrifice: conditions for successful sacrifice: right to revert to original salary
  • EIM42769 · Salary sacrifice: conditions for successful salary sacrifice: effectiveness of contractual arrangement
  • EIM42770 · Salary sacrifice: conditions for successful salary sacrifice: implementation of contractual arrangement: payslip information
  • EIM42771 · Salary sacrifice: conditions for successful salary sacrifice: implementation of contractual arrangements: reference or notional salary
  • EIM42772 · Salary sacrifice: request to HMRC to approve arrangements before implementation
  • EIM42773 · Salary sacrifice: request to HMRC to approve arrangements after implementation
  • EIM42775 · Salary sacrifice: contributions to a registered pension scheme: practical considerations
  • EIM42777 · Salary sacrifice: implementation of contractual arrangement: other points to consider
  • EIM42778 · Salary sacrifice: other points to consider: application of the tax/NIC exemption
  • EIM42780 · Salary sacrifice: contributions to a registered pension scheme: income tax effects
  • EIM42785 · Salary sacrifice: contributions to a registered pension scheme: example of successful salary sacrifice
  • EIM42786 · Salary sacrifice: contributions to a registered pension scheme: example of unsuccessful salary sacrifice
  • EIM42790 · Salary sacrifice: example of unsuccessful sacrifice
  1. Waivers of remuneration and salary sacrifice: contents
  2. Salary sacrifice: conditions for successful salary sacrifice: entitlement to cash

EIM42766 | Salary sacrifice: conditions for successful salary sacrifice: entitlement to cash

From HM Revenue & Customs · Employment Income Manual

Section 62 ITEPA 2003

From 6 April 2017, the Income Tax and NICs advantages where benefits in kind are provided through salary sacrifice arrangements (described in the Finance Act 2017 as “optional remuneration arrangements”) are largely withdrawn. Guidance on the changes from 6 April 2017 starts at EIM44000.

Transitional provisions apply for a limited period. For further details see EIM44030.

Certain benefits in kind are excluded from the changes. For further details see EIM44130.

For a summary of the conditions that have to be met for a successful salary sacrifice see EIM42760.

The second condition concerns the true construction of the revised contractual arrangement between the employer and the employee. See EIM42753 for an explanation of how changes may be made. When the employer and employee have changed the remuneration package they will have achieved one of the following two results:

  • they may genuinely have reduced the employee’s entitlement to cash remuneration in exchange for provision of a benefit, a successful salary sacrifice, or

  • they may have continued the employee’s entitlement to the original level of cash remuneration. Under the new arrangement the employee is merely asking the employer to apply part of the cash remuneration on the employee’s behalf in providing a benefit for the employee. This is not a successful salary sacrifice

In practice, it may not be easy to decide which of these situations applies because:

  • it can be difficult to get all the facts as the revised contractual arrangements between employer and employee may be partly or wholly verbal agreements

  • when we have all the facts it can be difficult to decide legally the true construction of the agreement

Some remuneration is discretionary, for example some non-contractual bonuses. By definition discretionary remuneration is not part of a contractual arrangement. So you do not have to consider this condition for discretionary remuneration.

Salary sacrifice is a matter of agreement between the employer and the employee. The role of HMRC is to consider whether the arrangement is effective and the tax and NIC, which follow from this agreement.

If an employer requests advice in organising a salary sacrifice, explain that this is a matter between the business and the employee. HMRC cannot give advice on the terms and conditions of an employee’s contract. Information on salary sacrifice is available to the public on gov.uk.

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