EIM66690 - Tax treatment of mineworkers: payments in lieu of free coal
Section 306 ITEPA 2003
Reasonable sums received by miners in lieu of free coal
(smokeless fuel in smoke control areas), or for the surrender of
any part of the free coal or fuel to which they are entitled under
their agreements are not taxable.
Section 306(2) ITEPA 2003 limits the exemption to a payment
in place of an amount of free coal that does not exceed the amount
reasonably needed for personal use. But Section 306(3) also makes
it clear that we must assume that this condition is met unless we
have evidence that it is not. The purpose of this limitation is
that we do not intend the replacement of Extra-Statutory Concession
A6 by Section 306 ITEPA 2003 to result in the loss of the exemption
by any person who was within the concession.
For the definition of miner for this purpose, see
EIM66695.
Lump sum payments received by mineworkers on redundancy for
surrendering their rights to free coal or cash in lieu fall to be
treated as payments made on the termination of employment within
Part 6 Chapter 3 ITEPA 2003, see
EIM13000.
