This section explains the tax consequences for the various parties involved in the operation of approved CSOP schemes:
Paragraph 2(2) Schedule 4 refers to the company which
established the scheme as the "scheme organiser", however this does
not mean that this company must grant the options.
For example, if the exercise of the options is to be
satisfied by the transfer of existing shares rather than the issue
of new shares, the options may be granted by the holder of the
existing shares such as the trustees of an employee benefit trust,
if the scheme rules permit.