Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Employment Related Securities Manual
  • ERSM01000 · Data Protection
  • ERSM10000 · Introduction
  • ERSM20000 · Employment-related securities and options
  • ERSM30000 · Restricted securities
  • ERSM40000 · Convertible securities
  • ERSM50000 · Securities with Artificially Depressed Value
  • ERSM60000 · Securities with artificially enhanced value
  • ERSM70000 · Securities acquired for less than market value
  • ERSM80000 · Disposals for more than Market Value
  • ERSM90000 · Post acquisition benefits from securities
  • ERSM100000 · University spin-outs
  • ERSM110000 · Securities options
  • ERSM140000 · Reporting requirements - 'Other' template (Previously Form 42)
  • ERSM160000 · International
  • ERSM162000 · International from 6 April 2015
  • ERSM170000 · PAYE and NICs
  • ERSM180000 · CGT Interface
  • ERSM190000 · Employer Interface
  • ERSM200000 · Public Offers
  • ERSM210000 · Disclosures
  • ERSM220000 · Valuation Issues
  • ERSM300000 · Tax-advantaged schemes
  • ERSM600000 · Feedback
  • 163200 · International from 6 April 2015: reporting requirements - from 6 April 2015
  • ERSM100020 · University Spin-outs
  • ERSM100040 · University Spin-outs
  • ERSM100150 · University Spin-outs
  • ERSM100170 · University Spin-outs
  • ERSM100190 · University Spin-outs
  • ERSM10030 · Introduction
  • ERSM100310 · University Spin-outs
  • ERSM100330 · University Spin-outs
  • ERSM100410 · University Spin-outs
  • ERSM100430 · University Spin-outs
  • ERSM100520 · University Spin-outs
  • ERSM110025 · Securities Options: what are securities options - cash alternatives
  • ERSM110030 · Securities Options: Dividend Equivalents
  • ERSM110060 · Securities Options: application of Chapter 5 (amended by Schedule 22) to options
  • ERSM110540 · Securities Options: non-deductible amounts
  • ERSM110560 · Securities Options: exercise of EMI options
  • ERSM110850 · Securities Options: Capital Gains Tax on sale of securities acquired
  • ERSM110930 · Securities Options: earn-outs: restricted securities
  • ERSM111000 · Securities Options: rights issues
  • ERSM140020 · Reporting requirements - 'Other' template for non-tax advantaged employment-related securities (Previously Form 42)
  • ERSM140060 · Reporting Requirements - Form 42
  • ERSM140100 · Reporting requirements - Form 42
  • ERSM160200 · International: impact of residence and domicile status on employment-related securities & options - up to 5 April 2015
  • ERSM160400 · International: commencement of the new rules - up to 5 April 2015
  • ERSM160600 · The remittance basis for employment-related securities - up to 5 April 2014
  • ERSM160615 · The remittance basis for employment-related securities - up to 5 April 2015: changes from 6 April 2013
  • ERSM160700 · The relevant period - up to 5 April 2015
  • ERSM160720 · The relevant period - up to 5 April 2015: restricted or convertible securities
  • ERSM160735 · The relevant period - up to 5 April 2015: securities acquired for less than market value
  • ERSM160745 · The relevant period - up to 5 April 2015: securities acquired for less than market value other than pursuant to securities option
  • ERSM160755 · The relevant period - up to 5 April 2015: post-acquisition benefits from securities
  • ERSM160800 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015
  • ERSM160815 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: daily accrual
  • ERSM160825 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: non-domiciled/not s26A employees - conditions to be met
  • ERSM160835 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: non-domiciled/not s26A employees with associated employments - detail
  • ERSM160845 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: NOR/s26A employees - conditions to be met
  • ERSM160855 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: NOR/s26A employees - duties partly outside the UK
  • ERSM160865 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: examples
  • ERSM160867 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: examples: example 2 - non-domiciled employee with overseas employment and associated UK employment
  • ERSM160869 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: examples: example 4 - NOR employee with duties performed partly in the UK & partly overseas
  • ERSM160871 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: examples: example 6 - relevant periods including years where remittance basis does not apply
  • ERSM160873 · Ascertaining Foreign Securities Income (FSI) - up to 5 April 2015: examples: application of the examples from 6 April 2013
  • ERSM160920 · Just and reasonable override - up to 5 April 2015: example 1 - HMRC-favour adjustment for “wrong” relevant period
  • ERSM160940 · Just and reasonable override - up to 5 April 2015: example 3 - taxpayer-favour adjustment in respect of leaving employment during the relevant period
  • ERSM161030 · PAYE and NICs: PAYE - up to 5 April 2015: remittance basis
  • ERSM161050 · PAYE and NICs - up to 5 April 2015: examples
  • ERSM161060 · PAYE and NICs - up to 5 April 2015: example 2
  • ERSM161100 · Remittance - up to 5 April 2015
  • ERSM161110 · Remittance - up to 5 April 2015: what is remittance
  • ERSM161200 · Remittance of foreign securities income and the interaction with capital gains - up to 5 April 2015
  • ERSM161220 · Remittance of foreign securities income and the interaction with capital gains - up to 5 April 2015: TCGA92/S119B
  • ERSM161330 · Interaction of UK law and treaties - up to 5 April 2015: remittance basis
  • ERSM161340 · Interaction of UK law and treaties - up to 5 April 2015: remittance basis and time apportionment - example 1
  • ERSM162200 · International from 6 April 2015: principles of the Finance Act 2014 residence rules for employment-related securities & options
  • ERSM162400 · International from 6 April 2015: Chapter 5B - taxable specific income
  • ERSM162520 · International from 6 April 2015: the relevant period - from 6 April 2015: restricted or convertible securities
  • ERSM162530 · International from 6 April 2015: the relevant period - from 6 April 2015: chapter 3 example
  • ERSM162540 · International from 6 April 2015: the relevant period - from 6 April 2015: securities acquired for less than market value
  • ERSM162550 · International from 6 April 2015: the relevant period - from 6 April 2015: securities acquired for less than market value other than pursuant to securities option
  • ERSM162560 · International from 6 April 2015: the relevant period - from 6 April 2015: post-acquisition benefits from securities
  • ERSM162620 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: not s26A employees
  • ERSM162635 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: not s26A employees with associated employments - detail
  • ERSM162645 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: s26A employees - conditions to be met
  • ERSM162655 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: s26A employees - duties partly outside UK
  • ERSM162672 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: examples: example 2 - not s26A employee with overseas employment and associated UK employment
  • ERSM162677 · International from 6 April 2015: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2015: examples: “not s26A” and “s26A” employees
  • ERSM162740 · International from 6 April 2015: just and reasonable override - from 6 April 2015: example 3 - taxpayer-favour adjustment in respect of leaving employment during the relevant period
  • ERSM162830 · International from 6 April 2015: PAYE and NICs - from 6 April 2015: NICs
  • ERSM162845 · International from 6 April 2015: PAYE and NICs - from 6 April 2015: example 1
  • ERSM162900 · International from 6 April 2015: remittance - from 6 April 2015
  • ERSM163000 · International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015
  • ERSM163040 · International from 6 April 2015: remittance of chargeable foreign securities income and the interaction with capital gains - from 6 April 2015: subsequent adjustments
  • ERSM163100 · International from 6 April 2015: interaction of UK law and treaties - from 6 April 2015
  • ERSM163120 · Interaction of UK law and treaties - from 6 April 2015: time apportionment
  • ERSM163140 · Interaction of UK law and treaties - from 6 April 2015: chapter 5B and time apportionment - example 1
  • ERSM165100 · International from 6 April 2025: Impact of Finance Act 2025 Changes
  • ERSM165210 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Introduction
  • ERSM165215 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Not s26A employees
  • ERSM165220 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: s26A employees
  • ERSM165225 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Non-resident employees and split years
  • ERSM165230 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Sections 41J and 41K - supplemental provisions
  • ERSM165236 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Examples: Example 1 – Grant before 6 April 25 and employee eligible for old OWR
  • ERSM165237 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Examples: Example 2 – Grant after 6 April 25 and eligible for the new OWR
  • ERSM165238 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Examples: Example 3 – Grant before 6 April 25 and employee met s41H(4)
  • ERSM165239 · International from 6 April 2025: ascertaining chargeable and unchargeable foreign securities income - from 6 April 2025: Examples: Example 4 - Employee met s41H(4) prior to 25/26 & is ineligible for OWR in 25/26 - Hybrid employment arrangements
  • ERSM165240 · International from 6 April 2025: PAYE and NICs
  • ERSM165250 · International from 6 April 2025: Remittance of chargeable FSI from 6 April 2025
  • ERSM170020 · PAYE & NICs
  • ERSM170100 · PAYE & NICs:Special charges on employment related securities
  • ERSM170300 · PAYE & NICs
  • ERSM170400 · PAYE & NICs
  • ERSM170800 · PAYE & NICs
  • ERSM180020 · CGT Interface
  • ERSM180040 · CGT Interface
  • ERSM190020 · Employer Interface
  • ERSM190040 · Employer Interface
  • ERSM200030 · Public Offers
  • ERSM20020 · Employment-related securities and options: principles: charge on employment-related securities
  • ERSM20100 · Employment-related securities and options: scope of legislation
  • ERSM20120 · Employment-related securities and options: shares
  • ERSM20140 · Employment-related securities and options: loan stock
  • ERSM20160 · Employment-related securities and options: certificates in respect of securities held by others
  • ERSM20185 · Employment-related securities and options: options and futures: options
  • ERSM20191 · Employment-related securities and options: Alternative Finance Investment Bond: Islamic Finance bonds or ‘sukuk’
  • ERSM20193 · Employment-related securities and options: what are securities: RSUs and dividend equivalents
  • ERSM20195 · Employment-related securities and options: what are securities: Stock Appreciation Rights (SARs)
  • ERSM20197 · Employment-related securities and options: ‘interest’ in securities - ITEPA03/S420 (8)
  • ERSM20205 · Employment-related securities and options: options used for avoidance
  • ERSM20240 · Employment-related securities and options: who is within the charge?
  • ERSM20290 · Employment-related securities and options: exclusions: certain control situations
  • ERSM20310 · Employment-related securities and options: exclusions: residence and split year treatment (up to 5 April 2015)
  • ERSM20360 · Employment-related securities and options: exclusions: former and prospective employments (up to 5 April 2015)
  • ERSM20380 · Employment-related securities and options: exclusions: tax-advantaged share schemes
  • ERSM20410 · Employment-related securities and options: ‘Market value’ - cashless exercise
  • ERSM20430 · Employment-related securities and options: meaning of ‘consideration’
  • ERSM20530 · Employment-related securities and options: ways of getting shares
  • ERSM220050 · Valuation Issues
  • ERSM220070 · Valuation Issues
  • ERSM220090 · Valuation Issues
  • ERSM220110 · Valuation Issues
  • ERSM220130 · Valuation Issues
  • ERSM30040 · Restricted Securities: Shares acquired before 16 April 2003: general meaning of chargeable event
  • ERSM30060 · Restricted Securities: Shares acquired before 16 April 2003: exemption from charge
  • ERSM30080 · Restricted Securities: Shares acquired before 16 April 2003: exemption from change in the rights
  • ERSM30200 · Restricted Securities: Conditional shares acquired before 17 March 1998: transitional issues
  • ERSM30220 · Restricted Securities: Conditional shares acquired between 17 March 1998 and 15 April 2003: scope of legislation
  • ERSM30320 · Restricted securities: definition of 'restriction' - forfeitable (or conditional) securities
  • ERSM30340 · Restricted securities: definition of 'restriction' - potential disadvantage
  • ERSM30360 · Restricted securities: black-out or close periods: USA and UK listed companies
  • ERSM30380 · Restricted securities: securities acquired for purposes of avoidance - deemed election
  • ERSM30400 · Restricted securities: calculation of charge
  • ERSM30415 · Restricted securities: computation of OP
  • ERSM30430 · Restricted securities: calculation of charge: complex example
  • ERSM30490 · Restricted securities: relief for NICs elections and agreements
  • ERSM30505 · Restricted securities: exchanges of restricted securities on or after 17 July 2014
  • ERSM30507 · Restricted securities: exchanges of restricted securities on or after 17 July 2014 - application of the chapter 2 charging provisions
  • ERSM30530 · Restricted securities: memorandum of understanding between the BVCA and H M Revenue and Customs on the income tax treatment of venture capital and private equity limited partnerships and carried interest
  • ERSM50015 · Securities with Artificially Depressed Value
  • ERSM50030 · Securities with Artificially Depressed Value
  • ERSM50150 · Securities with Artificially Depressed Value
  • ERSM50250 · Securities with Artificially Depressed Value
  • ERSM50400 · Securities with Artificially Depressed Value
  • ERSM50500 · Securities with Artificially Depressed Value
  • ERSM60020 · Securities with Artificially Enhanced Value
  • ERSM60100 · Securities with Artificially Enhanced Value
  • ERSM60120 · Securities with Artificially Enhanced Value
  • ERSM60200 · Securities with Artificially Enhanced Value
  • ERSM61000 · Securities with Artificially Enhanced Value
  • ERSM61020 · Securities with Artificially Enhanced Value
  • ERSM61040 · Securities with Artificially Enhanced Value
  • ERSM61060 · Securities with Artificially Enhanced Value
  • ERSM700000 · Technical Help
  • ERSM70015 · Securities acquired for less than market value: definitions
  • ERSM70030 · Securities acquired for less than market value: cases outside chapter 3C
  • ERSM70050 · Securities acquired for less than market value: computing the undervalue
  • ERSM70110 · Securities acquired for less than market value: computation
  • ERSM70150 · Securities acquired for less than market value: discharge from 17 July 2014
  • ERSM70210 · Securities acquired for less than market value: money’s worth charge on acquisition
  • ERSM70410 · Securities acquired for less than market value: acquisition of securities by exercise of option granted overseas up to 5 April 2015
  • ERSM70425 · Securities acquired for less than market value: UK duties before permanent arrival in the UK (up to 5 April 2015)
  • ERSM71020 · Securities acquired for less than market value: old regime: computation of notional loan
  • ERSM71040 · Securities acquired for less than market value: old regime: computation of notional loan: examples
  • ERSM71100 · Securities acquired for less than market value: old regime: residence issues
  • ERSM80020 · Disposals for more than Market Value: Definitions
  • ERSM80040 · Disposals for more than Market Value: Example: stop-loss
  • ERSM80110 · Disposals for more than Market Value: Fair value
  • ERSM80130 · Disposals for more than Market Value: Grays Timber Products Limited v HMRC ([2010] UKSC 4)
  • ERSM90020 · Post Acquisition Benefits from Securities
  • ERSM90060 · Post Acquisition Benefits from Securities
  • ERSM90210 · Post Acquisition Benefits from Securities
  • ERSM90230 · Post Acquisition Benefits from Securities
  • ERSM90600 · Post Acquisition Benefits from Securities
  • ERSM91010 · Post Acquisition Benefits from Securities
  • ERSM91030 · Post Acquisition Benefits from Securities
  • ERSMUPDATE001 · Employment Related Securities Manual: update index
  • ERSMUPDATE051215 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE060313 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE060505 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE061117 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE070510 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE070705 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE080814 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE090428 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE090615 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE120806 · Employment-Related Securities Manual: recent changes
  • ERSMUPDATE121004 · Employment-Related Securities Manual: recent changes
  • ERSMUPDATE121128 · ERSM - Employment Related Securities Manual: recent changes
  • ERSMUPDATE130827 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE130926 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE131101 · Employment Related Securities Manual: recent changes
  • ERSMUPDATE150406 · Employment-Related Securities Manual: recent changes
  1. Employment Related Securities Manual
  2. Securities acquired for less than market value: acquisition of securities by exercise of option granted overseas up to 5 April 2015

ERSM70410 | Securities acquired for less than market value: acquisition of securities by exercise of option granted overseas up to 5 April 2015

From HM Revenue & Customs · Employment Related Securities Manual

Residence up to 5 April 2015 (see ERSM162000 for periods from 6 April 2015)

Interaction of Chapter 3C with Chapter 5 (securities options)

Chapter 5 Part 7 ITEPA 2003 (securities options) exempts employees who subsequently become resident in the UK from the Chapter 5 charge at exercise, where the options were granted in a tax year when the employee was not resident in the UK, such that the provisions of ITEPA03/S15, ITEPA03/S22 or ITEPA03/S26 did not apply to their general earnings.

(For options granted before 6 April 2008 the exemption applied to any employee who was not resident and ordinarily resident in the UK in the year of grant.)

Such employees may subsequently acquire securities through the exercise of their options in the UK without a charge arising under Chapter 5.

As mentioned at ERSM70010, the forerunner of Chapter 3C was introduced to tackle avoidance using partly-paid shares. 3C applies to securities acquired for less than market value. However, it was quickly noticed that it also taxed options exercised by employees who were not ordinarily resident and were therefore not within the options legislation, now at Chapter 5.

”Legal options” and other securities options

The distinction between what are termed in this guidance as “legal options” and other securities options relates to the decision in Abbott v Philbin (see ERSM110100). The option in that case could be turned into money at the date when it was granted, even though it could not be transferred: Mr. Abbott could have made an agreement with a third party to exercise the option and transfer the shares to that third party. Where a securities option is a contractual legal entitlement given by the employer to the employee, for consideration or under deed or seal, as was the case in Abbott v Philbin, it is likely to be money’s worth. But HMRC does not accept that the same can be said for all arrangements which would be securities options. For example, some Long-Term Incentive Plans (LTIPs) and similar arrangements might provide employees with a right to acquire securities but that right will not be money’s worth on award. In such cases the value of the securities awarded under the plan is likely to be chargeable as money’s worth.

The term “legal option” is therefore used here as shorthand for something that can be turned into money at the date when it is granted.

So while Chapter 5 has a broader definition of securities option, being any right to acquire securities. Chapter 3C is confined neither to legal options nor to securities options but applies more generally, to securities acquired for less than market value.

Legal options granted when employee is not resident and not in respect of UK duties

Such an acquisition of securities for less than their market value might be caught by Chapter 3C. However, the right or opportunity to acquire securities pursuant to an option arises when that option is granted (ITEPA03/S421B(8)). The employment in question is therefore the employment at the time of grant. If the employee were then resident wholly overseas (and the grant were not in prospect of taking up the UK employment or otherwise in respect of duties performed in the UK), then the right or opportunity would arise in respect of an employment outside the scope of UK tax and HMRC’s practice is not to pursue a Chapter 3C liability.

When securities are acquired in a year when the employee is UK-resident, it is only where they are acquired pursuant to a “legal option” granted to the employee in a year when she was not UK-resident and not in respect of UK duties that the exercise of that option and the acquisition of securities for less than their market value be outside both:

  • a charge under Chapter 3C, and

  • a money’s worth charge.

See ERSM70450 where LTIPS, etc., not constituting legal options are granted abroad and ERSM20500 for details of the money’s worth charge.

“In respect of UK duties”

An example of a situation where HMRC would maintain that the grant of an option was in respect of UK duties would be where an employee is on a 2-year secondment to the United States and half way through Year 2 he is granted a 3-year option when he knows he is returning to the UK. The exercise of that option in the UK is likely to incur liability under Chapter 3C as at the time of grant it was known that there would be two and a half out of three years work in the UK to “earn” those shares. A contrasting scenario might involve a US citizen who receives his regular share option on, say, 1st January and two months later is invited to go on secondment to the UK. In those circumstances, where the employee has no prior knowledge of the secondment, we will not seek a charge under Chapter 3C.

Legal options granted when employee is not within Chapter 5 - the money’s worth charge

Under ITEPA03/S475 there is no charge to income tax on the acquisition of a securities option to which Chapter 5 applies. Where Chapter 5 does not apply, for example where there are no general earnings for the purposes of ITEPA03/S15, ITEPA03/S22 or ITEPA03/S26, but the employee is within the charge to UK tax by virtue of ITEPA03/S27, then there may be a money’s worth charge in respect of the value of the option when it is granted, in addition to any Chapter 3C charge on exercise of the option. (See also ERSM110110 and EIM00540 onwards)

PreviousNext
PrivacyTerms