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Income Tax Act 2007

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Changes over time for: Cross Heading: Payments constituting employment income of beneficiary

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Version Superseded: 06/04/2014

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Point in time view as at 19/12/2012.

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[F1Payments constituting employment income of beneficiaryU.K.

Textual Amendments

F1Ss. 496A , 496B and cross-heading inserted (with effect in accordance with art. 3(7) of the amending S.I.) by The Enactment of Extra-Statutory Concessions Order 2010 (S.I. 2010/157), arts. 1, 3(3) (with art. 3(10))

496ADiscretionary payments by trustees: employment incomeU.K.

(1)Section 496B applies if—

(a)in a tax year the trustees of a settlement make a discretionary employment income payment, and

(b)the trustees are UK resident for the tax year.

(2)In this section and section 496B, “discretionary employment income payment” means a payment to a person (“the beneficiary”) that—

(a)is made in the exercise of a discretion (whether exercisable by the trustees or any other person),

(b)is made out of income, and

(c)meets conditions A and B.

(3)Condition A is that what is paid to the beneficiary—

(a)is, only because of the payment, employment income of the beneficiary, but

(b)is not exempt income (as defined in section 8 of ITEPA 2003).

(4)Condition B is that the payment is made at a time when the settlement is an employee benefit settlement.

(5)A settlement is an employee benefit settlement if the trusts on which the settled property is held do not permit the settled property to be applied otherwise than—

(a)for the benefit of persons of one or more relevant classes, or

(b)for the benefit of such persons and for charitable purposes.

(6)“Relevant class” means a class defined by reference to one or more of the following—

(a)employment in a particular trade or profession,

(b)employment by, or holding office with, a body carrying on a trade, profession or undertaking, or

(c)marriage to or civil partnership with, or relationship to, or dependence on, persons of a class mentioned in paragraph (a) or (b).

(7)Where the trusts on which the settled property is held do not permit the settled property to be applied otherwise than as described in subsection (5) during a period (however defined), the settlement is an employee benefit settlement during (and only during) that period.

496BRelief for trusteesU.K.

(1)The trustees of a settlement are entitled (on making a claim in respect of a tax year) to repayment of an amount of income tax equal to the lesser of amount A and amount B.

(2)Amount A is—

where—

  • TEI is the total of the amounts that are employment income of beneficiaries of the settlement because of discretionary employment income payments made in the tax year by the trustees, and

  • TR is the trust rate in force for the tax year.

(3)Amount B is the amount of the trustees’ tax pool available for the tax year (see section 497) reduced (but not so that is goes below nil) by the total amount of income tax (if any) treated under section 494 as having been paid as a result of payments made by the trustees in the tax year.

(4)A claim under this section may not be made before the end of the tax year to which it relates.]

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