ERSM170040 – PAYE & NICs
Readily convertible assets: examples
Example 1 – existing trading arrangements
Ted’s employer is the UK subsidiary of a French company
quoted on the Paris stock exchange (not a Recognised Investment
Exchange or RIE). Ted is awarded 1,000 shares in the parent company
at a 25% discount on their £10 market value. There are no
restrictions on sale.
There is a charge to income tax as earnings in respect of the
money’s worth to Ted of £2500. As the shares are capable
of sale on an exchange, but not one being an RIE, trading
arrangements exist at the time of the award and the employer should
operate PAYE and account for NIC.
Example 2 – understanding about future trading arrangements
Wendy’s UK employer is not a subsidiary of any other
company and is not quoted on any market. The employer gives Wendy
1000 shares worth £5 each, as a part of her remuneration. The
employer undertakes to buy the shares from Wendy at any time while
she remains an employee, but only after a 6 month qualifying
period. There are no other conditions attached to the shares. Wendy
is free to sell them, although in fact she is not likely to find
anyone prepared to buy them as the company is unlisted.
The entitlement to shares represents money’s worth to
Wendy and there is a money’s worth charge on £5000.
There are no trading arrangements at the time of the award, because
the shares cannot be sold, as there is no market, but there is an
understanding that it is likely the shares can be sold in the
future. This satisfies subsection (i) above and the employer must
operate PAYE and account for NICs.
Example 3 – corporation tax deductible shares
Bill is a manager of a small family-owned company, not being a
subsidiary of any other company. He is offered to purchase 1,000
shares at par value of £1 each, but there is no market in the
shares and no arrangements for repurchasing them. There is a
standard pre-emption article in the Articles of Association that
anyone selling shares has first to offer them to other
shareholders, but there is no obligation for those other
shareholders to purchase them. Shares Valuation agree there is a
money’s worth value on the shares of £2,000.
There is a charge to income tax as earnings in respect of the
money’s worth of £1,000 to Bill (£2,000 less
£1,000 paid). There are no trading arrangements which would
make the shares RCAs. The charge of £1,000 on Bill will be a
deductible expense to the employing company under Schedule 23 FA
2003 so the additional deeming provision in (j) above will not
treat the shares as RCAs. No PAYE or NIC will be payable by the
employer and Bill will pay Income Tax under self-assessment.
