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Employee Share Plans in Europe and the USA - Sorainen

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<strong>Employee</strong> <strong>Share</strong> <strong>Plans</strong> <strong>in</strong> <strong>Europe</strong> <strong>and</strong> <strong>the</strong> <strong>USA</strong>The United K<strong>in</strong>gdom<strong>the</strong> purposes of an employee share plan subject to certa<strong>in</strong> requirementsrelat<strong>in</strong>g to <strong>the</strong> company's net assets.3.1.2 Private limited companies: As from 1 October 2008 <strong>the</strong> f<strong>in</strong>ancialassistance provisions for private limited companies were, subject tosome exceptions (e.g. where <strong>the</strong> f<strong>in</strong>ancial assistance is given by aprivate subsidiary for <strong>the</strong> acquisition of shares <strong>in</strong> a public hold<strong>in</strong>gcompany), abolished <strong>in</strong> <strong>the</strong> UK. F<strong>in</strong>ancial assistance is now permitted <strong>in</strong>relation to <strong>the</strong> acquisition of shares <strong>in</strong> a private limited company,whe<strong>the</strong>r for <strong>the</strong> purposes of an employee share plan or o<strong>the</strong>rwise.3.2 UK subsidiary of non-UK company: A UK company is permitted to givef<strong>in</strong>ancial assistance to its UK employees to enable <strong>the</strong>m to acquire shares <strong>in</strong> anon-UK parent company.4. Taxation of share acquisitions4.1 <strong>Employee</strong> tax <strong>and</strong> social security contributions4.1.1 Tax: An employee who acquires shares (which are not subject torestrictions) by reason of employment at a discount to market value orfree of charge, will normally be liable to pay <strong>in</strong>come tax. The tax chargeis on <strong>the</strong> difference between <strong>the</strong> market value of <strong>the</strong> shares at <strong>the</strong> timeof acquisition <strong>and</strong> <strong>the</strong> amount, if any, paid for <strong>the</strong> shares. For <strong>the</strong> taxyear 2010-2011 (6 April - 5 April), tax rates range from 20% to 50%. 2If an employee acquires shares by reason of employment <strong>and</strong> <strong>the</strong>shares are subject to a risk of forfeiture which will be lifted with<strong>in</strong> 5 yearsof acquisition, <strong>the</strong>re will be no tax charge on acquisition, unless <strong>the</strong>employee elects to pay tax at that po<strong>in</strong>t. There may be a later charge to<strong>in</strong>come tax when <strong>the</strong> shares cease to be subject to <strong>the</strong> risk of forfeitureor cease to be subject to o<strong>the</strong>r restrictions (e.g. restrictions on dividendrights) or are disposed of by <strong>the</strong> employee. Additional tax charges mayarise if share values are artificially reduced or <strong>in</strong>creased. 323The 50% tax rate is a new highest marg<strong>in</strong>al tax rate which was <strong>in</strong>troduced from <strong>the</strong> 2010-2011 taxyear. The 50% tax rate applies to <strong>in</strong>come over £150,000.Tax charges may apply to shares which have a value which has ei<strong>the</strong>r been artificially depressed by atleast 10% with<strong>in</strong> 7 years before <strong>the</strong> date on which <strong>the</strong> employee acquires <strong>the</strong>m or artificially enhancedby at least 10% <strong>in</strong> any tax year (6 April - 5 April) after <strong>the</strong> employee acquires <strong>the</strong>m. Income tax mayalso arise where shares are disposed of for more than market value, if <strong>the</strong> employee receives postacquisitionbenefits <strong>in</strong> connection with <strong>the</strong> shares or where partly paid shares are purchased.UK/1729295/03 190 September 2010

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