Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Income Tax (Earnings and Pensions) Act 2003

Crossheading Tax advantages connected with shares ceasing to be subject to plan

  • Section 497 Limitations on charges on shares ceasing to be subject to plan
  • Section 498 No charge on shares ceasing to be subject to plan in certain circumstances
  1. Tax advantages connected with shares ceasing to be subject to plan
  2. Limitations on charges on shares ceasing to be subject to plan

Section 497 | Limitations on charges on shares ceasing to be subject to plan

From legislation.gov.uk

(1)No liability to income tax arises on free or matching shares ceasing to be subject to the plan, except as provided by—

(a)section 505 (charge on free or matching shares ceasing to be subject to plan), or

(b)section 507 (charge on disposal of beneficial interest during holding period).

(2)No liability to income tax arises on partnership shares ceasing to be subject to the plan, except as provided by section 506 (charge on partnership shares ceasing to be subject to plan).

(3)No liability to income tax arises on dividend shares ceasing to be subject to the plan, except under Chapter 3 or 4 of Part 4 of ITTOIA 2005 (dividends etc. from UK or non-UK resident companies etc.) as a result of section 394(2) or 407(2) of that Act (distribution or dividend payment when dividend shares cease to be subject to plan).F1

Notes

  1. F1

    Words in s. 497(3) substituted (6.4.2005) by Income Tax (Trading and Other Income) Act 2005 (c. 5), s. 883(1), Sch. 1 para. 602 (with Sch. 2)

PreviousNext
PrivacyTerms