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Contents

Official guidance
Employment Income Manual

EIM45000 · Employment income provided through third parties: overview, general approach

  • EIM45001 · Employment income provided through third parties: Summary of structure of guidance
  • EIM45005 · Employment income provided through third parties: requests for clearance
  • EIM45010 · Employment income provided through third parties: glossary
  • EIM45025 · Employment income provided through third parties: the Section 554A gateway: examples: dividends
  • EIM45030 · Employment income provided through third parties: the section554A gateway: all the relevant circumstances
  • EIM45035 · Employment income provided through third parties: meaning of ‘relevant third person’
  • EIM45045 · Employment income provided through third parties: meaning of 'relevant third person': group exception: examples
  • EIM45050 · Employment income provided through third parties: meaning of 'relevant third person': LLP exception: examples
  • EIM45055 · Employment income provided through third parties: relevant steps: how Sections 554B to 554D are related
  • EIM45060 · Employment income provided through third parties: relevant steps: Section 554C: overview
  • EIM45065 · Employment income provided through third parties: relevant steps: section 554C: payment of sum of money
  • EIM45070 · Employment income provided through third parties: relevant steps: Section 554C: sum of money or asset made available
  • EIM45075 · Employment income provided through third parties: relevant steps: Section 554C: grant of lease
  • EIM45080 · Employment income provided through third parties: relevant steps: Section 554D: making asset available for relevant person to benefit from
  • EIM45085 · Employment income provided through third parties: relevant steps: Section 554D: asset made available: events before 6 April and after 5April 2011: examples
  • EIM45090 · Employment income provided through third parties: relevant steps: ‘relevant person’ in sections 554C and 554D
  • EIM45095 · Employment income provided through third parties: relevant steps: Section 554B: earmarking etc of sum of money or asset
  • EIM45100 · Employment income provided through third parties: Section554B: earmarking etc of sum of money or asset: relevant third person not aware of all the facts
  • EIM45105 · Employment income provided through third persons: relevant steps: Section 554B: earmarking etc of sum of money or asset: employee share scheme: shares from various sources
  • EIM45106 · Employment income provided through third parties: relevant steps: Section 554B: earmarking etc of sum of money or asset: employee share scheme: using options to hedge share awards
  • EIM45110 · Employment income provided through third parties: relevant steps: Section 554B: meaning of 'earmarked' in Section 554B(1)(a)
  • EIM45115 · Employment income provided through third parties: relevant steps: relevant step within Section 554B, later relevant step within Section554C or 554D, exclusions within Section 554E onwards
  • EIM45120 · Employment income provided through third parties: the Section554A gateway: examples: loans
  • EIM45125 · Employment income provided through third parties: the Section554A gateway: examples: EBTs
  • EIM45130 · Employment income provided through third parties: the Section554A gateway: examples: various
  • EIM45131 · Employment income provided through third parties: the Section 554A gateway: examples: various (2)
  • EIM45135 · Employment income provided through third parties: the Section 554A gateway: examples: dividends
  • EIM45140 · Employment income provided through third parties: undertakings given by employers etc in relation to retirement benefits etc: overview
  • EIM45145 · Employment income provided through third parties: undertakings given by employers etc in relation to retirement benefits etc: conditions
  • EIM45150 · Employment income provided through third parties: undertakings given by employers etc in relation to retirement benefits etc: earmarking etc by B
  • EIM45155 · Employment income through third parties: undertakings given by employers etc in relation to retirement benefits etc: provision of security by employers etc
  • EIM45160 · Employment income provided through third parties: undertakings given by employers etc in relation to retirement benefits etc: transition
  • EIM45165 · Employment income provided through third parties: undertakings given by employers etc in relation to retirement benefits etc: examples
  • EIM45200 · Employment income provided through third parties: exclusions: general
  • EIM45300 · Employment income provided through third parties: exclusions: share schemes etc
  • EIM45600 · Employment income provided through third parties: exclusions: retirement benefits etc
  • EIM45700 · Employment income provided through third parties: Part 7A income
  • EIM45800 · Employment income provided through third parties: remittance basis
  • EIM45900 · Employment income provided through third parties: transitional rules
  • EIM46000 · Part 7A ITEPA 2003 - Finance Act 2017 amendments: introduction
  • EIM46001 · Double taxation provisions: Finance Act 2017
  • EIM47000 · Loans etc outstanding on 5 April 2019: loan charge
  1. Employment income provided through third parties: overview, general approach: contents
  2. Employment income provided through third parties: meaning of ‘relevant third person’

EIM45035 | Employment income provided through third parties: meaning of ‘relevant third person’

From HM Revenue & Customs · Employment Income Manual

Sections 554A(7) to (10) and 554Z17(1) ITEPA 2003

The general rule
The special rules
The group exception
The LLP exception
Avoidance
Group exception and LLP exception: common circumstances
Individuals

One of the conditions for Section 554A to apply is that a relevant third person takes a relevant step.

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The general rule

In general, a ‘relevant third person’ means any person other than A or B.

So, a ‘relevant third person’ does not have to be connected with either A or B.

There are three special rules which extend this definition, and there are two exceptions to it.

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The special rules

  • A acting as a trustee is a relevant third person.

  • So is B acting as a trustee. For example, if an employing company is also a trustee of a trust.

Note that, in certain limited circumstances, an employer may be a trustee. For example, a trustee of a charitable trust may take on employees to deliver the business of the charity. As long as there were no circumstances that cast doubt over the genuine nature of the employment, a trustee that is also an employer would not be viewed as acting as a trustee when acting in their capacity as employer.

  • B is also a relevant third person if B takes a step within Section 554Z18 or 554Z19.

On Sections 554Z18 and 554Z19 (undertakings given by employers etc in relation to retirement benefits etc: earmarking etc and provision of security), see EIM45150 and EIM45155 respectively.

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The group exception

The group exception applies if:

  • B is a company, and

  • B is a member of a group of companies at the time the relevant step is taken.

To decide whether B is a member of a group, you apply the rules for corporation tax on chargeable gains (see CG45100 onwards) with one modification.

The chargeable gains test is a 75% test. For the purposes of the group exception, you change ‘75%’ to ‘51%’ throughout.

If the group exception applies, another member of B’s group at the time the relevant step is taken is not a relevant third person (unless it is acting as a trustee).

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The LLP exception

If B is a limited liability partnership, then a company which is a wholly-owned subsidiary of B at the time the relevant step is taken is not a relevant third person (unless it is acting as a trustee).

‘Limited liability partnership’ has the meaning given by Section 1(2) Limited Liability Partnership Act 2000.

‘Wholly-owned subsidiary’ has the meaning given by Section 1159(2) Companies Act 2006.

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Avoidance

Neither of the exceptions applies if there is a connection (direct or indirect) between the relevant step and a tax avoidance arrangement.

On ‘connection between’ a step and a ‘tax avoidance arrangement’, see EIM45855.

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Group exception and LLP exception: common circumstances

Especially with larger employers, it is common for parts of remuneration packages to be delivered by a group company or by a wholly owned subsidiary of an LLP that is also an employer.

It will usually be clear that there is no avoidance involved and therefore the group exception or the LLP exception will apply.

The result will be that there will be no Part 7A income and the step in question will be subject to the other employment income provisions in ITEPA 2003 as applicable.

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Individuals

An individual can be a relevant third person. The most common example is likely to be where an individual is a trustee of a trust used in an arrangement.

In other cases, where a relevant step is taken by an individual, remember that in contrast to other categories of person, an individual may take a step in the normal course of domestic, family or personal relationships and not as a means of providing rewards, recognition or loans in connection with employment. Where this is the case, the step will not come through the Section 554A gateway (see EIM45025).

There are some examples to show how the group exception and the LLP exception work at EIM45045 and EIM45050 respectively.

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