EIM30004 – Benefits: scholarships
provided for members of the family or household of a director or
employee: fortuitous scholarship awards do not give rise to a
chargeable benefit
Section 213 ITEPA 2003
There is no chargeable benefit where the connection between the
award of the scholarship and the employment is fortuitous. An award
of a scholarship is treated as fortuitous if in any year of
assessment:
- the scholarship is provided from a trust
fund or under a scheme and
- it is held by a person receiving full time
instruction at a university, college, school or other educational
establishment (see EIM06204) and
- it would not be regarded as provided "by
reason of a person's employment" within the ordinary meaning of
that phrase as at 1 of
EIM30002 (this means that 2 and 3 of
EIM30002 are ignored for this purpose)
and
- not more than 25 per cent of the payments
from that fund or scheme are attributable to scholarships provided
by reason of persons' employments. For this purpose the meanings of
"by reason of the employment" at 1, 2 and 3 of
EIM30002 do apply. The meaning of
employment is extended to include an office or employment whose
earnings are not liable to UK tax, but would be liable if:
- the employee were resident or ordinarily resident
in the United Kingdom and
- all the duties were performed wholly in the United
Kingdom.