Part 7Employment income: income and exemptions relating to securities
F1Chapter 5Securities options
Introduction
473Introduction to taxation of securities options
(1)
The starting-point is that section 475 contains an exemption from the liability to tax that might otherwise arise under—
(a)
Chapter 1 of Part 3 (earnings), or
(b)
Chapter 10 of that Part (taxable benefits: residual liability to charge),
when an employment-related securities option is acquired.
(2)
Liability to tax may arise, when securities are acquired pursuant to the employment-related securities option, under—
(a)
section 446B (charge on acquisition where market value of securities or interest artificially depressed),
(b)
Chapter 3C of this Part (acquisition of securities for less than market value), or
(c)
section 476 (acquisition of securities pursuant to securities option).
(3)
Liability to tax may also arise by virtue of section 476 when—
(a)
the employment-related securities option is assigned or released, or
(b)
a benefit is received in connection with the employment-related securities option.
(4)
There are special rules relating to share options acquired under—
(a)
F2Schedule 3 SAYE option schemes (see Chapter 7 of this Part),
(b)
F3Schedule 4 CSOP schemes (see Chapter 8 of this Part), or
(c)
enterprise management incentives (see Chapter 9 of this Part).