ERSM110510 - Securities Options
Computation of option gain
When an option is exercised, or there is another chargeable
event (see
ERSM110500), the taxable amount counts
as employment income of the employee for the relevant tax year.
For chargeable events, the “relevant tax year” is
the year in which the chargeable event occurs (ITEPA03/S476).
The taxable amount arising when a chargeable event occurs
is:
AG – DA
where AG is the amount of the gain and DA is the deductible amounts (ITEPA03/S478).
Amount of gain – AG – on acquisition of securities
The gain on the acquisition of securities in connection with the exercise of an employment- related securities option is
amount of the gain AG = MV – C where
- MV is the market value of the securities at the time of acquisition, and
- C is the amount of any consideration given for the securities (ITEPA03/S479).
Amount of gain – AG – on assignment or release of option
On the assignment or release of such an option, the amount of the gain (AG) is the amount of consideration given for that assignment or release.
Amount of gain – AG – on benefit received
If a benefit is received in connection with the option, the
amount of the gain
(AG) is the amount or market value of the benefit
received.
If there has been a transaction within the last 7 years which
reduces the value of the securities for
“non-commercial” reasons, the amount of any gain on
receipt of securities from an employment-related securities option
will be increased. The gain will be treated as it would have been
without the transaction having taken place.
“Non-commercial” transactions include those done for
the purpose of avoiding tax and NICs and non-arm’s length
inter-group transactions, other than a payment for group
relief.
Deductible amounts – DA
Deductible amounts (DA), per ITEPA03/S480 are:
- any consideration given for the acquisition of an employment-related securities option.
- any expenses incurred in connection with the acquisition of securities or other chargeable event.
- any reduction in the market value of employment-related securities to which an associated person is beneficially entitled, where the reduction is due to the acquisition of the option or of the securities in connection with the option.
- the amount that counts as employment income by reason of a charge on the grant of an option at a discount under an approved CSOP.
- any amount that was treated as earnings in respect of the acquisition of the option,
- the amount of any gain by a previous option holder which would have been a deductible cost for the previous holder on assignment of the option (ITEPA03/S479 (2)(c) as originally enacted).
If consideration for the acquisition of an option has previously been deducted from a gain, the amount deducted cannot be applied again in calculating a further gain.
Further reliefs
See also details of further reliefs for NIC:
| Deductible amounts: employer's NICs met by employee | ERSM110520 |
| Deductible amounts: grant between 6 April 1999 to 19 May 2000: special contribution met by employee | ERSM110530 |
Example
In June 2003 Tom Staples is granted an option to acquire 1,000
shares at a price of £2 per share. £1 is paid as
consideration for the grant of the option.
The option is exercised on 1 October 2006 when shares of the
same class have a market value of £5 each.
| Value of shares at exercise |
£5,000 |
|
| Less paid for shares |
(£2,000) | |
| Less paid for option |
(£ 1) |
(£2,001) |
| Share option gain charged to Income Tax and NICs in 2006/7 | £2,999 |
If an employee exercises an option to acquire quoted shares and
sells the shares acquired through the stock exchange on the same
day that the option is exercised, the sale price of the shares may
be accepted as the market value for the purposes of assessing the
gain made on exercise.
In any other case (for example, if the shares are sold at a
later date, or if the shares are unquoted shares) market value at
the date of exercise should be established. Guidance on obtaining
valuations of shares for this purpose is given at ERSM220000.
