EIM06240 - Employment income: scholarship income: rates of payment under Statement of Practice 4/1986
Statement of Practice 4/1986
The exemption under Statement of Practice 4/86 (see EIM06235) is due where the rate of payment does not exceed the amount shown in the table below.
| Period | Maximum rate (£) | ||
| Yearly | Monthly | Weekly | |
| From 6/4/92 | 7,000 | 583.33 | 134.61 |
| From 01/09/05 | 15,000 | 1250.00 | 288.46 |
| From 01/09/07 | 15,480 | 1290.00 | 297.92 |
For 1991/92 and earlier years, see SE06207.
Where the rate of remuneration (inclusive of lodging or
subsistence allowances, but exclusive of university etc fees
payable by the employee) exceeds the limits set out above, do not
accept that the trainee/student is in receipt of scholarship
income. You should obtain copies of contracts between the
trainee/student and the employer/sponsor and an explanation of how
the level of payments has been calculated. It is likely that the
amounts exceed what may genuinely be described as scholarship
income or educational maintenance. In consequence the payments are
likely to be earnings from the employment and should be taxed in
full. However, an increase in the rate of remuneration beyond the
qualifying limit part way through a course, will not affect any
entitlement to exemption for the earlier part of the course.
Similarly, a period of full-time instruction at a rate of payment
not qualifying for exemption counts as a period of attendance at
the educational establishment for the purpose of deciding whether
the employee was in full-time attendance at the establishment.
For examples of how the exemption operates see examples
EIM06245.
