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Contents

Official guidance
Employment Related Securities Manual

ERSM110000 · Securities options

  • ERSM110010 · What are securities options?
  • ERSM110015 · Securities options and "legal options"
  • ERSM110020 · What are securities options - phantom scheme variants
  • ERSM110050 · Legislation: overview of liability
  • ERSM110100 · Abbott v Philbin
  • ERSM110110 · Grant of option
  • ERSM110200 · Charge on grant of long options - old rules
  • ERSM110210 · Post-acquisition charges on options - old rules
  • ERSM110500 · Post-acquisition charges on options - post-Schedule 22 FA 2003
  • ERSM110510 · Computation of option gain
  • ERSM110520 · Deductible amounts: employer's NICs met by employee
  • ERSM110550 · Employee deprived of securities by operation of law
  • ERSM110600 · Non-residents: exercise after leaving UK
  • ERSM110800 · Exchange of one option for another
  • ERSM110900 · Earn-outs: what are they?
  • ERSM110910 · Earn-outs: overview of liability
  • ERSM110920 · Earn-outs: potential liability under Chapter 5
  • ERSM110940 · Earn-outs: key indicators of earn-out being sale consideration
  • ERSM111100 · Bonus shares
  1. Securities options: contents
  2. Securities Options: exchange of one option for another

ERSM110800 | Securities Options: exchange of one option for another

From HM Revenue & Customs · Employment Related Securities Manual

If an employee sells or gives up the option in return, or partly in return, for another option, a charge to Income Tax arises when the second option is exercised, not when the first option is sold or given up. The relief is set out in ITEPA03/S483.

If an employment-related securities option is assigned or released, and the whole or part of the consideration for this assignment or release is a new option, the new option is not treated as consideration given for the old option when calculating the amount of gain in accordance with ERSM110500.

The amount given for the acquisition of the new option that will qualify as a deductible amount is:

  • the amount of consideration given for the acquisition of the new option (other than the old option itself) and

  • the amount of consideration given for the acquisition of the old option, less any amount received for the assignment or release of that option (other than the new option itself).

Two or more transactions taking place when one option is received for another are to be treated as a single transaction, irrespective of the order in which the transactions occur.

The charging provisions in ITEPA03/S471 - ITEPA03/S482 apply to the new option as they apply to the old option.

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