- Y Diweddaraf sydd Ar Gael (Diwygiedig)
- Pwynt Penodol mewn Amser (06/04/2005)
- Gwreiddiol (Fel y'i Deddfwyd)
Version Superseded: 18/04/2005
Point in time view as at 06/04/2005.
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45(1)The Inland Revenue may by notice require any person to provide them with any information—U.K.
(a)which they reasonably require for the performance of their functions under the SAYE code, and
(b)which the person to whom the notice is addressed has or can reasonably obtain.
(2)The power conferred by this paragraph extends, in particular, to—
(a)information to enable the Inland Revenue—
(i)to decide whether to approve an SAYE option scheme or to withdraw an approval already given, or
(ii)to determine the liability to tax, including capital gains tax, of any person who has participated in a scheme, and
(b)information about the administration of a scheme and any alteration of the terms of a scheme.
(3)The notice must require the information to be provided within a specified time, which must not end earlier than 3 months after the date when the notice is given.
46(1)This paragraph applies for the purposes of the provisions of the SAYE code relating to group schemes.U.K.
(2)Each joint owner of a jointly owned company is to be treated as controlling every company within sub-paragraph (3).
(3)The companies within this sub-paragraph are—
(a)the jointly owned company, and
(b)any company controlled by that company.
(4)However, no company within sub-paragraph (3) may be—
(a)a constituent company in more than one group scheme, or
(b)a constituent company in a particular group scheme if another company within that sub-paragraph is a constituent company in a different group scheme.
(5)In this paragraph a “jointly owned company” means a company which (apart from sub-paragraph (2)) is not controlled by any one person and—
(a)of which 50% of the issued share capital is owned by one person and 50% by another, or
(b)which is otherwise controlled by two persons taken together.
(6)In this paragraph “joint owner” means one of the persons mentioned in sub-paragraph (5)(a) or (b).
47(1)For the purposes of the SAYE code, except in paragraph 35(3) (time when “scheme-related employment” ends), one company is an “associated company” of another company at a given time if, at that time or at any other time within one year previously—U.K.
(a)one has control of the other, or
(b)both are under the control of the same person or persons.
(2)For the purposes of sub-paragraph (1) the question whether a person controls a company is to be determined in accordance with section 416(2) to (6) of ICTA.
48(1)In the SAYE code—U.K.
“ [F1certified SAYE savings arrangement] ” has the meaning given in [F2section 703(1) of ITTOIA 2005] ;
“company” means a body corporate;
“market value” has the same meaning as it has for the purposes of TCGA 1992 by virtue of Part 8 of that Act.
(2)For the purposes of the SAYE code a company is a member of a consortium owning another company if it is one of a number of companies—
(a)which between them beneficially own not less than 75% of the other company’s ordinary share capital, and
(b)each of which beneficially owns not less than 5% of that capital.
Textual Amendments
F1Words in Sch. 3 para. 48(1) substituted (6.4.2005) by Income Tax (Trading and Other Income) Act 2005 (c. 5), s. 883(1), Sch. 1 para. 618(11)(a) (with Sch. 2)
F2Words in Sch. 3 para. 48(1) substituted (6.4.2005) by Income Tax (Trading and Other Income) Act 2005 (c. 5), s. 883(1), Sch. 1 para. 618(11)(b) (with Sch. 2)
49U.K.In the SAYE code the following expressions are defined or otherwise explained by the provisions indicated below:
approved | section 516(4) (and see paragraph 42(3)) |
associated company | paragraph 47(1) |
the bonus date | paragraph 30(3) |
[F3certified SAYE savings arrangement] | paragraph 48(1) |
child | section 832(5) of ICTA, (and see section 721(6) of this Act) |
close company | section 832(1) of ICTA, (and see paragraph 11(4)) |
company | paragraph 48(1) |
connected person | section 718 |
constituent company | paragraph 3(3) |
control | section 719 (and see paragraphs 35(4) and 47(2)) |
distribution | section 832(1) of ICTA |
earnings | section 62 and see section 721(7) |
eligible shares (in Part 4 of this Schedule) | paragraph 17(2) |
employee and employment | section 4 |
group scheme | paragraph 3(2) (and see paragraph 46) |
the Inland Revenue | section 720(1) |
interest | section 832(1) of ICTA |
market value | paragraph 48(1) |
member of a consortium | paragraph 48(2) |
notice | section 832(1) of ICTA |
the options (in relation to a participant) | paragraph 2(2) |
ordinary share capital | section 832(1) of ICTA |
participant | paragraph 2(2) |
participate | paragraph 2(2) |
personal representatives | section 721(1) |
recognised stock exchange | section 841 of ICTA |
the SAYE code | section 516(3) |
SAYE option scheme | section 516(4) |
the scheme organiser | paragraph 2(2) |
share option | section 516(4) |
shares | section 516(4) |
Special Commissioners | section 4 of TMA 1970 |
specified age | paragraph 31 |
tax | section 832(3) of ICTA |
United Kingdom | section 830 of ICTA |
Textual Amendments
F3Words in Sch. 3 para. 49 substituted (6.4.2005) by Income Tax (Trading and Other Income) Act 2005 (c. 5), s. 883(1), Sch. 1 para. 618(12) (with Sch. 2)
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