EIM15429 - Employer-financed retirement benefits schemes: example: receipts excluded from charge: prior employer contributions
Section 394 ITEPA 2003 and Paragraphs 53-55 Schedule 36 FA 2004
Note: for examples involving non-approved schemes
see
EIM15428
Example 1
On 1 January 2007 an employee receives a £100,000 lump
sum on retirement from an employer- financed scheme (see
EIM15010).
The employer contributed £500 per month to the scheme
for 10 years until December 2005 when contributions ceased. These
contributions were taxed on the employee under s595 ICTA 1988 and
Section 386 ITEPA 2003 (see
SE15040 and
EIM15040).
All of the income and gains of the scheme (whether as a
non-approved scheme before 6 April 2006 or as an employer-financed
scheme after on or after that date) have been within the charge to
UK tax
The lump sum £100,000 falls within Section 394 ITEPA
2003 but all the conditions in
EIM15125 are met. There is therefore no
charge under that Section.
Example 2
The facts are as in example 1 above except that the employer
continued to contribute until December 2006.
Because the employer made contributions
both before and on or after 6 April 2006, the
rules in
EIM15128 apply. Part of the lump sum is
not taxed under Section 394 and the example within
EIM15128 explains how that is arrived
at.
