When convertible securities are first acquired, liabilities to tax as employment income can arise under
In each case, the market value of the securities acquired is the value of the securities at that time, determined as if they were not convertible. So, in valuing them, the value of the right to convert must be ignored (ITEPA03/S437 (1)).
Charge on acquisition under ITEPA03/S62 (money’s worth) is therefore reduced from £130 to £98. The right to convert worth £32 is ignored.
From the 2 December 2004 this adjustment to charge is modified
by ITEPA437 (2) if the main purpose (or one of the main
purposes) of the arrangements under which the right or opportunity
to acquire the employment-related securities is made available is
the avoidance of tax or national insurance contributions.
unless the market value of the employment-related securities
determined under subsection (1) would be greater than that
determined under subsection (3).
Instead, the market value of the employment-related
securities is to be determined:
“Immediately and fully convertible” means
convertible immediately after the acquisition of the
employment-related securities so as to obtain the maximum gain that
would be possible on a conversion at that time (assuming, where the
securities into which the securities may be converted were not in
existence at that time and it is appropriate to do so, that they
were) without giving any consideration for the conversion or
incurring any expenses in connection with it.
However, this anti-avoidance modification is not put into
effect where to do so would reduce the charge on acquisition
– ITEPA03/S437 (2).
Where it is intended to argue that this provision applies,
advice should be sought from the Technical Adviser, Employee Shares
& Securities Unit.