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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: contributions to a registered pension scheme: example of successful salary sacrifice

EIM42785 | Salary sacrifice: contributions to a registered pension scheme: example of successful salary sacrifice

From HM Revenue & Customs · Employment Income Manual

Sections 62 and 308 ITEPA 2003

This is an example of a successful salary sacrifice and its income tax effects.

For an example of a salary sacrifice that is not successful see EIM42786 and EIM42790.

For information on salary sacrifice generally see EIM42750 onwards.

Example of successful salary sacrifice

A senior employee, who is not a director, is contractually entitled to a bonus each year. The amount of the bonus is based on the profits of the employing company.

The company’s year end is 31 January. Accounts for the year ended 31 January 2020 are finalised on 31 July 2020 enabling the amount of the bonus to be calculated. The employee is not entitled to payment of the bonus until 31 October 2020. The employee is informed on 31 August 2020 that the bonus will be £10,000. The letter informing the employee of the bonus asks the employee to choose between:

  • receiving the bonus, or

  • giving up his contractual rights to the bonus in return for the company making a £10,000 employer’s contribution to a registered pension scheme for his benefit

The employee chooses the second option and returns the completed documentation to the company to this effect on 30 September 2020. The completed documentation makes it clear that

  • the employee has given up his contractual rights to the bonus based on the company’s profits for the year ended 31 January 2020 and

  • he does not have the right to change his mind on this decision

This is a successful sacrifice because it meets the necessary requirements (see EIM42760):

  • the bonus would have become money earnings on 31 October 2020. It is given up before then

  • the true construction of the revised arrangement between employer and employee is that the employee has got lower taxable cash remuneration and a non-taxable benefit. The £10,000 is not chargeable

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 optional remuneration arrangements 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.

Employer contributions into registered pension schemes and employer provided pensions advice are excluded from the April 2017 changes. Payments made under successful salary sacrifice arrangements continue to be regarded as employer contributions and not taxable on the employee.

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