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Contents

Official guidance
Stamp Taxes on Shares Manual

STSM082000 · Trusts and pension schemes: pension schemes

  • STSM082010 · Overview
  • STSM082020 · What are they?
  • STSM082030 · Stamp Duty and Stamp Duty Reserve Tax on investments
  • STSM082040 · Mergers of pension schemes
  • STSM082050 · Member leaves scheme and commences a Personal Pension Scheme
  • STSM082060 · Contributions of assets to an occupational pension, personal pension scheme or Self Invested Personal Pension - general
  • STSM082070 · Contributions of assets to an occupational pension, personal pension scheme or Self Invested Personal Pension - s195 FA 2004
  • STSM082080 · Transfer of assets where the sole consideration is issue of life policy
  • STSM082090 · Pension Funds Pooling Schemes
  • STSM082100 · Pension Funds Pooling Schemes - Stamp Duty and Stamp Duty Reserve Tax treatment
  • STSM082110 · Common Investment Arrangements (CIA)
  1. Trusts and pension schemes: pension schemes: contents
  2. Trusts and pension schemes: pension schemes: contributions of assets to an occupational pension, personal pension scheme or Self Invested Personal Pension - general

STSM082060 | Trusts and pension schemes: pension schemes: contributions of assets to an occupational pension, personal pension scheme or Self Invested Personal Pension - general

From HM Revenue & Customs · Stamp Taxes on Shares Manual

If an individual or employer wants to invest stock or marketable securities into an occupational pension scheme, personal pension scheme or Self-Invested Pension Plan (SIPP) they must define the value of their contribution in cash terms. This debt is then settled by transferring their stock or marketable securities to the SIPP so in this case ad valorem stamp duty is payable.

For Stamp Duty Reserve Tax (SDRT) purposes, the agreement to transfer chargeable securities to the occupational pension, personal pension scheme or SIPP constitutes money’s worth (the forgiveness of the debt) and an SDRT charge therefore arises.

For both stamp duty and SDRT the transfer constitutes an in specie contribution for which consideration has been given.

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