The notional loan is to be treated as discharged when the following occurs -
There is a charge to tax if a notional loan is discharged as a result of an event specified in (b) or (c) above.
The amount of the notional loan outstanding immediately before the occurrence of the event is to be treated as earnings from the employment for the tax year in which the event occurs.
Even if the employment has terminated or has become “lower-paid” (earnings less than £8,500) before the chargeable event the employment is treated as not terminated or having become a “lower-paid” employment”, so that the charge still applies.
Where partly-paid shares are sold for their market value taking into account the potential call on them, the amount of the notional loan equal to the call is still chargeable even though this obligation is taken over by the purchaser of the shares.
In 2002/3 Ellie Batista acquires 10,000 ordinary shares with
fully paid up market value of £10,000. Her employer allows her
to pay 10p per share leaving a call of 90p per share outstanding.
She pays tax on the notional loan of £9,000 each year and in
2007/8 sells the shares, still partly-paid, for £5,000.
The sale of the shares constitutes a discharge of the
notional loan of £9,000, which is charged as earnings from
employment for 2007/8 under ITEPA03/S195 as originally enacted.
The CGT computation on disposal will be on the following
lines:
| Disposal proceeds | £5,000 |
| Cost | (£1,000) |
| Section 195 charge on discharge of notional loan | (£9,000) |
| CGT loss | (£5,000) |