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Legislation
Income Tax (Earnings and Pensions) Act 2003

Crossheading Tax advantages connected with award of shares

  • Section 490 No charge on award or acquisition of shares: general
  • Section 491 No charge on award of shares as taxable benefit
  • Section 492 No charge on partnership share money deducted from salary
  • Section 493 No charge on acquisition of dividend shares
  1. Tax advantages connected with award of shares
  2. No charge on acquisition of dividend shares

Section 493 | No charge on acquisition of dividend shares

From legislation.gov.uk

(1)Repealed

(2)Repealed

(3)Section 1105(3) of CTA 2010 (information relating to distributions to be provided by nominee) does not apply to any amount applied by the trustees in acquiring dividend shares on behalf of a participant.F1

(3A)For the exemption of such amounts from income tax, see section 770 of ITTOIA 2005 (amounts applied by SIP trustees acquiring dividend shares or retained for reinvestment).F2

(4)Repealed

(5)Subsection (3) is subject to paragraph 80(4)(c) of Schedule 2 (information required where dividend shares cease to be subject to plan).

Notes

  1. F1

    Words in s. 493(3) substituted (with effect in accordance with s. 1184(1) of the amending Act) by Corporation Tax Act 2010 (c. 4), s. 1184(1), Sch. 1 para. 391 (with Sch. 2)

  2. F2

    S. 493(3A) inserted (6.4.2005) by Income Tax (Trading and Other Income) Act 2005 (c. 5), s. 883(1), Sch. 1 para. 600(3) (with Sch. 2)

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