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Contents

Official guidance
Trusts, Settlements and Estates Manual

TSEM5590 · Trusts for particular purposes: Extra-Statutory Concession A68 to 2009-10 and ITA/S496B relief from 2010-11

  • TSEM5600 · Trusts for particular purposes: the reason for ESC A68 - years to 2009-2010
  • TSEM5605 · Trusts for particular purposes: ESC A68 - the amount of the compensation - years to 2009-2010
  • TSEM5610 · Trusts for particular purposes: ESC A68 - conditions - years to 2009-2010
  • TSEM5612 · Trusts for particular purposes: ESC A68 - statistics - years to 2009-2010
  • TSEM5615 · Trusts for particular purposes: compensation under ESC A68 - example using savings income - years to 2009-2010
  • TSEM5620 · Trusts for particular purposes: compensation under ESC A68 - example using dividend income - years to 2009-2010
  • TSEM5650 · Trusts for particular purposes: discretionary payments taxed as employment income - 2010-2011 onwards
  • TSEM5655 · Trusts for particular purposes: discretionary payments taxed as employment income - 2010- 2011 onwards - definitions
  • TSEM5660 · Trusts for particular purposes: discretionary payments taxed as employment income - 2010-2011 onwards - amount of relief
  • TSEM5665 · Trusts for particular purposes: discretionary payments taxed as employment income - 2010-2011 onwards - example
  • TSEM5670 · Trusts for particular purposes: discretionary payments taxed as employment income - 2010-2011 onwards - repayment supplement
  1. Trusts for particular purposes: Extra-Statutory Concession A68 to 2009-10 and ITA/S496B relief from 2010-11: contents
  2. Trusts for particular purposes: discretionary payments taxed as employment income - 2010- 2011 onwards - definitions

TSEM5655 | Trusts for particular purposes: discretionary payments taxed as employment income - 2010- 2011 onwards - definitions

From HM Revenue & Customs · Trusts, Settlements and Estates Manual

‘Discretionary employment income payment’ means a payment to a person that

  • is made in the exercise of a discretion

  • is made out of income, and

  • meets conditions A and B

Condition A is that what is paid to the beneficiary is employment income of the beneficiary (but is not exempt income as defined in IETPA/S8).

Condition B is that the payment is made at a time when the settlement is an employee benefit settlement.

An employee benefit settlement is one where the trusts on which the settled property is held do not permit the settled property to be applied otherwise than

  • for the benefit of persons of one or more relevant classes, or

  • for the benefit of such persons and for charitable purposes.

‘Relevant class’ means a class defined by reference to one or more of the following:

  • employment in a particular trade or profession,

  • employment by, or holding office with, a body carrying on a trade, profession or undertaking, or

  • marriage to or civil partnership with, or relationship to, or dependence on, persons of a class mentioned in the two bullets above.

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