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Employee Reward Structures 6th ed

Employee Reward Structures 6th ed

  • 作者:
  • 出版商: Spiramus Press Ltd
  • ISBN: 9781910151389
  • Previous Edition ISBN: 9781907444807
  • 出版时间 July 2017
  • 规格: Paperback
  • 适应领域: U.K. ? 免责申明:
    Countri(es) stated herein are used as reference only
¥1,562.75
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  • 描述 
  • 大纲 
  • 详细

    This is a comprehensive guide to the tax treatment of executive reward packages, from recruitment to termination. Includes a comprehensive glossary of terms, checklists and flowcharts.

    The sixth edition contains analysis of: the following changes:

    • Taxation of pensions contributions, cap on tax relief for contributions, additional rate relief restriction, alignment of pension input periods, reduction in lifetime allowance, freedom to draw down lump sums
    • Termination payments Significant proposed changes in treatment
    • Employee Benefit Trusts: Important case law developments (Murray Group Holdings)
    • Employee Shareholder Shares: Changes to the relief and proposal to end agreements
    • Employee Share Plans: Streamlining and Self-certification
    • Benefits in kind: Removal of ‘lower-paid employee’ status
    Includes complete work on CD-ROM (with cross-references and website resources hyperlinked) with the printed book.

  • Acknowledgements
    Contents
    List of abbreviations
    1.
    Cash Bonus Plans, “Golden Hellos” and Phantom Shares
    1.1 Cash Bonus Plans
    1.2 Golden Hellos
    1.3 Phantom Share Plans
    2.
    Non-Cash Benefits
    2.1 Taxation of Benefits: General Rules
    2.2 Flexible Benefits
    2.3 Exempt Employee Shareholder Shares
    2.4 Incentive Award Schemes
    2.5 Cars
    2.6 Healthcare and Medical Benefits
    2.7 Life Assurance
    2.8 Childcare Vouchers
    2.9 Workplace Nurseries
    2.10 Nurseries outside the Workplace
    2.11 Workplace Meals
    2.12 Mobile Telephones
    2.13 Vouchers
    2.14 Pensions
    2.15 Job-related Accommodation
    2.16 Accommodation that is Not Job-Related
    2.17 Recreational Facilities
    3.
    Registered Pension Schemes
    3.1 Introduction
    3.2 Description
    3.3 Disclosure
    3.4 Regulatory Treatment
    3.5 Tax Treatment of Member
    3.6 Summary of Benefits Payable from Registered Money Purchase Pension Schemes
    3.7 Tax Treatment of Trustee/Scheme Administrator
    3.8 Tax Treatment of Employer
    4.
    Employer-Financed Retirement Benefits Schemes
    4.1 Description
    4.2 Regulatory Treatment:
    4.3 Tax Treatment of Member:
    4.4 Tax Treatment of Trustee/Scheme Administrator
    4.5 Tax Treatment of Employer:
    5.
    Employee Benefit Trusts and Disguised Remuneration
    5.1 Uses of Employee Benefit Trusts
    5.2 Taxation of a Beneficiary
    5.3 Taxation of Company
    5.4 Capital Gains Tax
    5.5 Collection of NIC
    5.6 Taxation of Individual Settlor
    5.7 Taxation of the EBT Trustee
    5.8 Company Law
    6.
    Unapproved Option Plans
    6.1 Description
    6.2 Key Features of Share Options
    6.3 Company Law Issues
    6.4 Designing a Share Option Plan and Drafting the Rules
    6.5 Sources of Shares
    6.6 Accounting Treatment
    6.7 Summary of Advantages and Disadvantages of Share Options
    6.8 Taxation of Options
    6.9 Assignment or Release of Securities option
    6.10 Frequently Asked Questions on Unapproved Share Options
    7.
    Tax-Favoured Share Plans: General
    7.1 Overview
    7.2 Requirements common to SIP, SAYE and CSOP
    7.3 Requirement common to SIP and SAYE: No Discouraging Features
    7.4 Requirements common to SAYE and CSOP
    7.5 Requirement common to EMI, SAYE and CSOP
    7.6 Requirements common to EMI and CSOP
    7.7 Requirements common to EMI, SAYE, CSOP and SIP
    8.
    EMI
    8.1 Description
    8.2 Checklist for Granting an EMI Option
    8.3 Qualification Requirements for the Relevant Company and its Shares
    8.4 Tests applying to the Shares
    8.5 Qualification Requirements for the Optionholder
    8.6 Qualification Requirements for the Option
    8.7 The Terms of the Option
    8.8 Documentation and Registration
    8.9 Taxation of the Employee
    8.10 Summary of Advantages and Disadvantages of EMI Options
    8.11 Frequently Asked Questions on EMI Plans
    9.
    CSOP
    9.1 Description
    9.2 Checklist for Implementation of a CSOP
    9.3 Approval Requirements for the Shares
    9.4 Approval Requirements for Participating Companies
    9.5 Approval Requirements for the Optionholder
    9.6 Approval Requirements for the Plan
    9.7 Approval Process
    9.8 Valuation Issues
    9.9 Tax Treatment of Employee
    9.10 Tax Treatment of Employer
    9.11 Accounting Treatment
    9.12 Frequently Asked Questions
    10.
    SAYE
    10.1 Description
    10.2 Checklist for Implementation of an SAYE
    10.3 Approval requirements for the Shares
    10.4 Approval Requirements for Participating Companies
    10.5 Approval Requirements relating to Optionholders
    10.6 Approval Requirements for the Plan
    10.7 Approval Process
    10.8 Selecting a Savings Carrier
    10.9 Valuation Issues
    10.10 Tax Treatment of Employee
    10.11 Tax Treatment of Employer
    10.12 Accounting Treatment
    10.13 Summary of Advantages and Disadvantages of SAYE Options
    10.14 Frequently Asked Questions for SAYE
    11.
    SIP
    11.1 Overview
    11.2 Free Shares
    11.3 Partnership Shares
    11.4 Matching Shares
    11.5 Dividend Shares
    11.6 Checklist for Implementation of a SIP
    11.7 Approval Requirements for the Shares
    11.8 Approval Requirements for Participating Companies
    11.9 Approval Requirements relating to Participants
    11.10 Approval Requirements for the Plan
    11.11 Other Features of the SIP
    11.12 Approval Process
    11.13 Selecting a Trustee/Administrator
    11.14 Tax Treatment
    11.15 Summary of Advantages and Disadvantages of SIP
    11.16 Frequently Asked Questions on SIPs
    12.
    Exempt Employee Shareholder Shares
    12.1 Introduction
    12.2 Legal Requirements
    12.3 Exemption from Income Tax on Acquisition
    12.4 Exemption from Distribution Treatment on Disposal
    12.5 Exemption from Capital Gains Tax on Disposal
    12.6 National Insurance
    12.7 Employee with Material Interest
    12.8 Corporation Tax Issues
    12.9 Accounting and Company Law
    13.
    Share Purchase and Award Plans: Overview
    13.1 Structure of this Section
    13.2 Company Law Issues
    13.3 Common Ways of Providing Shares
    13.4 Unrestricted Shares
    13.5 Restricted Shares
    13.6 Convertible securities
    13.7 Nil-paid and Partly-paid Shares
    13.8 Ratchet Arrangements
    13.9 Value Freezing/Growth Shares/Hurdle Share
    13.10 Flowering Shares
    13.11 Joint Ownership Plans
    13.12 Share Appreciation Rights
    13.13 Discounted Share Offers
    14.
    Tax Treatment of Employee on Acquisition of the Securities
    14.1 Unrestricted Shares
    14.2 Restricted Securities
    14.3 Convertible securities
    14.4 Nil-Paid and Partly-Paid Shares
    14.5 Ratchet Arrangements
    14.6 Value Freezing/Growth Shares/Hurdle Shares
    14.7 Flowering Shares
    14.8 Joint Ownership Plan
    14.9 Share Appreciation Rights
    15.
    Tax Treatment of Employee after Acquisition of the Securities
    15.1 Unrestricted Securities
    15.2 Restricted Securities
    15.3 Convertible securities
    15.4 Securities Acquired for less than Market Value
    15.5 Ratchet Arrangements
    15.6 Value Freezing/Growth Shares/Hurdle Shares
    15.7 Flowering Shares
    15.8 Joint Ownership Plan
    15.9 Entrepreneurs’ Relief
    15.10 Income Tax Relief for Capital Losses
    16.
    Restricted Securities Elections
    16.1 The Elections
    16.2 Deciding to Make an Election
    16.3 Reporting
    17.
    Legacy Rules
    17.1 Forfeitable Shares Acquired before 17 March 1998
    17.2 Conditional Securities Acquired before 16 April 2003
    17.3 Removal or Variation of a Restriction on Securities Acquired Before 1 September 2003
    18.
    Anti-Avoidance and Special Situations
    18.1 Pre-acquisition Avoidance Cases
    18.2 Securities that have been Artificially Depressed in Value
    18.3 Artificially Enhanced Securities
    18.4 Securities Disposed of for More than Market Value
    18.5 Post-Acquisition Benefits
    19.
    Corporation Tax Relief
    19.1 General Principles
    19.2 CTA 2009, Part 12
    19.3 Relationship between Part 12 and other deductions
    19.4 CTA 2009, s1288
    19.5 CTA 2009, sections 1290 to 1297
    19.6 Establishment and Operation of Approved Schemes
    19.7 Pension Contributions
    19.8 Cash Cancellation Payments
    19.9 Transfer Pricing and Anti-Arbitrage Issues
    19.10 Termination Payments
    20.
    NIC Recovery and Transfers
    20.1 Primary NIC
    20.2 Secondary NIC Transfers
    21.
    Employment-Related Loans
    21.1 Prohibition on Loans to Directors
    21.2 Loans to Director acting as Trustee
    21.3 Tax on Cheap Loans to Directors and Employees
    21.4 Consumer Credit Act 1974
    21.5 Loans to Acquire Shares in Close Companies
    21.6 Loans to Acquire Shares in an Employee-Controlled Company
    21.7 Loans to Participators in Close Companies
    22.
    Termination Payments
    22.1 Overview
    22.2 Summary
    22.3 Employment Rights
    22.4 PILONs
    22.5 Payments for Post-termination Restrictions
    22.6 £30,000 Exemption
    22.7 Statutory Redundancy Payments
    22.8 Enhanced Redundancy Payments
    22.9 Payments from Registered Pension Schemes
    22.10 Approved Lump Sum Payments
    22.11 Overseas Pension Schemes
    22.12 Payments into Registered Pension Schemes
    22.13 Payments on Death, Injury or Disability
    22.14 Foreign Service Relief
    22.15 Long Service Awards
    22.16 Outplacement Counselling
    22.17 Legal Expenses
    22.18 Benefits in Kind
    22.19 Special Rules for Directors
    22.20 Compensation for Loss of Option Rights
    22.21 Corporation Tax Issues
    23.
    Corporate Transactions: Effect on Share Plans
    23.1 Change of Control
    23.2 Sale of Business or Subsidiary
    23.3 Bonus issue and rights issue
    23.4 Demergers and Spinoffs
    23.5 Earnouts
    24.
    Overview of Share Valuation
    24.1 Money’s Worth Valuation
    24.2 Capital Gains Tax Valuation
    24.3 Impact of Personal Restrictions
    25.
    Company Law Issues
    25.1 Model Documentation
    25.2 Public Offers of Securities
    25.3 Corporate Authority
    25.4 Issuing Shares for less than par
    25.5 Restrictions on Allotment of Shares
    25.6 Pre-emption rights
    25.7 Financial Assistance
    25.8 Definition of “Employees’ Share Scheme”
    25.9 Disclosure Requirements
    25.10 FSMA 2000
    25.11 Loans to Directors
    25.12 Interests in Contracts
    25.13 Membership of Holding Company
    25.14 Share Buybacks
    26.
    Accounting Treatment
    26.1 Accounting for Employment Costs – General
    26.2 Accounting for Cash Bonuses
    26.3 Accounting for Employment-related Securities and Options
    26.4 Accounting for Secondary NIC
    26.5 Accounting for Corporation Tax
    26.6 Accounting for Employee Benefit Trusts
    27.
    Anti-Avoidance
    27.1 Background
    27.2 PAYE Implications
    28.
    Meaning of “by reason of employment”
    29.
    Flowcharts and Checklists
    29.1 Readily convertible asset
    29.2 Corporation tax deductible share
    29.3 Attribution of EBT shares to beneficiaries
    29.4 Rollover of Approved options
    29.5 Rollover of EMI Options
    30.
    Form 42 Reporting
    31.
    Future Developments
    31.1 Department for Business, Information and Skills
    31.2 Office for Tax Simplification (OTS)
    31.3 HM Treasury
    32.
    Glossary
    Table of Authorities
    Index

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