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Contents

Official guidance
Employment Related Securities Manual

ERSM30000 · Restricted securities

  • ERSM30010 · Introduction
  • ERSM30030 · Shares acquired before 16 April 2003
  • ERSM30050 · Shares acquired before 16 April 2003: year and amount of charge
  • ERSM30070 · Shares acquired before 16 April 2003: exemption from charge: the 7 year rule
  • ERSM30090 · Shares acquired before 16 April 2003: exemption from charge: conditions to be met
  • ERSM30210 · Conditional shares acquired between 17 March 1998 and 15 April 2003: restricted shares subject to risk of forfeiture
  • ERSM30230 · Conditional shares acquired between 17 March 1998 and 15 April 2003: how are they taxed?
  • ERSM30240 · Conditional shares acquired between 17 March 1998 and 16 April 2003: specific issues dealt with in Tax Bulletin 46
  • ERSM30250 · Conditional shares acquired on or after 16 April 2003 but with chargeable event before 1 September 2003: how are they taxed?
  • ERSM30300 · Securities acquired on or after 16 April 2003: introduction
  • ERSM30310 · Meaning of restricted securities and restricted interest in securities
  • ERSM30330 · Definition of 'restriction' - holding of securities
  • ERSM30350 · Exceptions
  • ERSM30370 · No charge on acquisition: forfeiture condition 5 years or less
  • ERSM30390 · The charge
  • ERSM30410 · Securities disposed of for less than market value
  • ERSM30420 · Calculation of charge: simple examples
  • ERSM30440 · Excluded securities
  • ERSM30450 · Elections to exclude outstanding restrictions
  • ERSM30460 · Elections to exclude outstanding restrictions: further issues
  • ERSM30470 · Restricted shares acquired under tax-advantaged scheme - deemed election under section 431(1)
  • ERSM30480 · Securities acquired for purposes of avoidance - deemed election under Section 431(1)
  • ERSM30500 · Exchanges of restricted securities up to 16 July 2014
  • ERSM30506 · Exchange of restricted securities on or after 17 July 2014 - application of the chapter 2 charging provisions
  • ERSM30508 · Exchanges of restricted securities on or after 17 July 2014 - application of the chapter 2 charging provisions - examples
  • ERSM30510 · French FCPE (Fonds Commun de Placement d' Entreprise)
  • ERSM30520 · Memorandum of understanding between the BVCA and H M Revenue and Customs on the income tax treatment of managers' equity investments in venture capital and private equity backed companies
  1. Restricted securities: contents
  2. Restricted securities: exceptions

ERSM30350 | Restricted securities: exceptions

From HM Revenue & Customs · Employment Related Securities Manual

Employment-related securities are not ‘restricted securities’ if:

  • the securities are unpaid (or partly paid) and will be forfeited if the balance is not paid up when required - provided there is nothing that might specifically prevent the payment being made - ITEPA03/S424 (1)(a),

  • there is a requirement to dispose of the securities on cessation of employment for misconduct - ITEPA03/S424 (1)(b), and

  • the securities are redeemable for payment - but this exemption only applies to securities before 2 December 2004 - ITEPA03/S424 (1)(c).

Example

Gary Prothero has been provided with shares by his employer but has been told that the shares will have to be sold if he is dismissed for misconduct. If this is the only provision attaching to the shares then they are not considered to be restricted as they are excepted by ITEPA2003/S424 (1)(b).

Redeemable securities acquired before 2 December 2004

A security acquired before 2 December 2004 that is restricted solely by a redeemable condition is not within Chapter 2 in respect of either the acquisition or any chargeable events occurring before 2 December and the employee will be charged on the actual (restricted) value of the security at acquisition under the general earnings rules. However, chargeable events on or after that date will be within Chapter 2 and a further charge may arise (Finance (No. 2) Act 2005).

For acquisitions of redeemable securities on or after 2 December 2004 the provisions of Chapter 2, including elections, apply immediately.

Use of securities in avoidance

There is a further qualification of the exceptions from 2 December 2004. The two remaining exceptions (partly paid shares and forfeiture on cessation for misconduct) do not apply if the shares are acquired in connection with a tax or NICs avoidance scheme - ITEPA03/S424 (2).

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