In the following Chapters, there are exemptions from the charge where certain control tests are satisfied. The chapters and their respective relieving provisions are, as from 2 December 2004:
| ITEPA03/S429 |
| ITEPA03/S443 |
| ITEPA03/S446R |
| ITEPA03/S449 |
The relief is subject to the following tests:
(a) the employment-related securities are shares (or an
interest in shares) in a company of a class;
(b) all the company’s shares of that class (for
Chapters 2, 3 & 3C only):
(c) Nothing has been done affecting the shares as part of a
scheme or arrangement the main purpose (or one of the main
purposes) of which is the avoidance of tax or national insurance
contributions;
(d) all the company’s shares of the class (other than
the employment-related securities) are affected by an event similar
to that which is a chargeable event in relation to the employment-
related securities,
and either immediately before the chargeable event:
i) the company is employee-controlled by virtue of holdings
of shares of the class,
or
ii) the majority of the company’s shares of the class
are not employment-related securities.
A company is “employee-controlled”, per ITEPA03/S421H, by virtue of shares of a class if:
“Employee” includes a person who is to be or has
been an employee.
“Associated company” has the same meaning as in
ICTA88/S419.
There was no avoidance test (c) and the employment-related securities test (d)(ii) was:
ii) the majority of the company’s shares of the class are not held by or for the benefit of any of the following—
- employees of the company,
- persons who are related to an employee of the company,
- associated companies of the company,
- employees of any associated company of the company, or
- persons who are related to an employee of any such associated company.
For this test a person is related to an employee if:
The avoidance test (c) was based on the motive at time of acquisition of shares rather than at any time.