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Contents

Official guidance
Employment Related Securities Manual

ERSM70000 · Securities acquired for less than market value

  • ERSM70010 · Overview
  • ERSM70020 · What is taxed?
  • ERSM70040 · Relief for acquisition of shares in close company
  • ERSM70100 · Date of effect
  • ERSM70120 · Example computations
  • ERSM70130 · Annual charge
  • ERSM70140 · Discharge of notional loan up to 16 July 2014
  • ERSM70200 · Charge on acquisition
  • ERSM70400 · Effect of residence status
  • ERSM70420 · Employee resident but not ordinarily resident in UK: overseas workdays up to 5 April 2015
  • ERSM70423 · Employee resident but not ordinarily resident in UK: overseas workdays up to 5 April 2015 - examples
  • ERSM70424 · Employee resident but not ordinarily resident in UK: leaving the UK (up to 5 April 2015)
  • ERSM70440 · Non-residents (up to 5 April 2015)
  • ERSM70450 · LTIPs or RSUs awarded abroad (up to 5 April 2015)
  • ERSM70460 · Date of departure from UK and split years
  • ERSM71000 · Shares acquired before 16 April 2003
  • ERSM71010 · Old regime: structure of charge
  • ERSM71030 · Old regime: annual charge
  • ERSM71050 · Old regime: discharge of notional loan
  1. Securities acquired for less than market value: contents
  2. Securities acquired for less than market value: charge on acquisition

ERSM70200 | Securities acquired for less than market value: charge on acquisition

From HM Revenue & Customs · Employment Related Securities Manual

Avoidance cases

For acquisitions on or after 2 December 2004, ITEPA03/S446S to ITEPA03/S446U (notional loan treatment) will not apply in certain circumstances. These are where the main purpose (or one of the main purposes) of the arrangements under which the right or opportunity to acquire the employment-related securities is made available is the avoidance of tax or national insurance contributions.

Instead, ITEPA03/S446UA provides that an amount equivalent to what would have been the initial notional loan will count as employment income of the employee for the tax year in which the acquisition takes place.

If the securities used in avoidance are restricted you should also consider liability created by ITEPA03/S431B - see ERSM30380.

If the securities are an option (redefined as a security) used in avoidance you should also consider the provisions of ITEPA03/S437(2) & (3).

If you consider that securities may have been acquired at less than full market value as part of an avoidance scheme, you must refer the case to Employee Shares & Securities Unit (ERSM10040).

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