BIM44535 - Specific deductions: Employee
benefit trusts: general purpose EBTs
In this guidance a ‘general purpose’ EBT means a
trust set up to provide employees with benefits
other than:
- share-related benefits under employee
share schemes set up to give employees a stake in the company or
group by which they are employed - see
BIM44515,
- pension and other benefits under
retirement benefit schemes - see
BIM44520,
- accident benefits - see
BIM44525,
- healthcare benefits - see
BIM44530.
General purpose EBTs may be set up for clear business reasons,
such as setting money aside to pay redundancy and other benefits to
employees if their employment is terminated.
However, EBTs have increasingly been used for avoidance
purposes, with the aim of providing employees and directors with
benefits in ways that aim to defer, minimise or avoid:
- income tax (and PAYE) liability on amounts
received by employees and directors; and / or
- employers’ Class 1 or Class 1A
National Insurance Contributions (NICs) on amounts paid to
employees and directors
whilst still securing an immediate deduction for the
employer’s contributions to the EBT.
Avoidance uses
Typical avoidance uses of general purpose EBTs include:
- payment of bonuses via an offshore trust
in an attempt to avoid employers’ NICs,
- payment of remuneration by way of loans,
which may be written off before they become repayable,
- making loans in depreciating currency such
as Turkish Lira from which the borrower may make a foreign exchange
gain before the loan becomes repayable,
- creating an offshore
‘moneybox’ for director / shareholders of close
companies, with the aim of avoiding inheritance tax on value
transferred out of the company through contributions to the
EBT,
- allowing employees to use assets (such as
cars) owned by the EBT, the costs of acquiring which would be
capital expenditure if they were owned by the employing
company,
- providing benefits in the form of shares
(not in the employing company) whose values can be most easily
manipulated before or after they are transferred from the EBT to
employees or directors.
Approach to take
In many cases the main risk may relate to income tax under PAYE
and NICs due on amounts paid out of the EBT, rather than the
availability of a CT deduction (at some time) for the
employer’s contribution. It is therefore important that CT
staff considering deductions for employers’ contributions
liaise with Employer Compliance staff in order that all aspects of
the case are considered together.
Guidance on deductions for contributions to general purpose
EBTs is at
BIM44550 onwards.