EIM44132 - Optional remuneration arrangements: special case exemptions

Chapters 7A, 9, 10A, and 11 of Part 4 ITEPA 2003

Benefits that are provided through optional remuneration arrangements from 6 April 2017 (subject to the transitional provisions are not covered by existing exemptions from Income Tax within Part 4 of ITEPA 2003 unless the exemption is an �excluded exemption�.

A special case exemption means an exemption conferred by any of the following provisions:

Special case exemptions already have specific salary sacrifice rules and you should continue to apply those when considering whether an exemption continues to apply. »Ê¹ÚÌåÓýappn work out the amount to treat as earnings from the employment for any benefit that would otherwise be covered by such an exemption.

»Ê¹ÚÌåÓýapp special case rules are only relevant for determining whether the exemption applies. If, having applied the specific special case exemption there is a taxable benefit, then apply the optional remuneration rules in the usual way.

Example

An employee is provided with a benefit under salary sacrifice arrangements that would otherwise be exempt as a trivial benefit under section 323A ITEPA 2003. »Ê¹ÚÌåÓýapp employee sacrifices £55 for the benefit, which costs the employer £45 to provide. Because the benefit has been provided under a relevant salary sacrifice arrangement, condition C of the exemption is not satisfied so the benefit is not exempt from Income Tax. »Ê¹ÚÌåÓýapp amount chargeable to tax and NICs is equal to the salary foregone of £55 as this is greater than the cost of the benefit.