ERSM100020 - University Spin-outs
Other reliefs available
The relief available in Chapter 4A may not be required in some
circumstances.
- Relief is provided already in Chapter 2 (ITEPA03/S429), Chapter
3 (ITEPA03/S443), Chapter 3C (ITEPA03/S446R) and Chapter 4
(ITEPA03/S449) for certain company shares (see
ERSM20290). An individual shareholder
or group of shareholders may qualify for relief under these
provisions even if it is not specifically mentioned in the examples
that follow.
- Many companies are "spun out" from research institutions but
are predominantly service companies. If such a spin-out does not
involved the transfer of Intellectual Property from the institution
to shares owned or acquired by employees then there is unlikely to
be a taxable event within Part 7 of ITEPA in the first place.