ARTICLE
1 February 2024

New Employer Obligations Regarding Share Option Related Taxes

MG
Maples Group
Contributor
The Maples Group is a leading service provider offering clients a comprehensive range of legal services on the laws of the British Virgin Islands, the Cayman Islands, Ireland, Jersey and Luxembourg, and is an independent provider of fiduciary, fund services, regulatory and compliance, and entity formation and management services.
Since 1 January 2024, employers have a new reporting and withholding obligation regarding share option related taxes.
Ireland Tax
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What You Need to Know

Since 1 January 2024, employers have a new reporting and withholding obligation regarding share option related taxes.

Background

Section 12 of the Finance (No.2) Act 2023 provides for a new employer obligation regarding share option related taxes. From 1 January 2024, employers have a reporting and withholding obligation in relation to the Income Tax, Universal Social Charge and employee Pay Related Social Insurance payable on gains realised when an employee or director exercises share options.

Historically, the onus was on employees and directors to report any gain realised on the exercise of their share options and to pay the related taxes within 30 days of the date of the exercise via the self-assessment system. Accordingly, this is a significant change for employers who may not previously have had any share-based compensation plans within the PAYE system. Given the tight timeframe, the change will potentially lead to payroll compliance challenges for employers, particularly those with plans involving frequent exercise.

While we understand that formal Revenue Guidance is pending, employers should review share option schemes and agreements to ensure that the current arrangements remain fit for purpose and to ensure they have a process in place for keeping a record of grants and exercise periods. For example, adjustments may need to be made to enable payroll withholding and / or to enable employers to sell shares on behalf of the employee / director in order to fund the tax liability in the event that an employee does not have sufficient net salary to fund all relevant payroll deductions.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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ARTICLE
1 February 2024

New Employer Obligations Regarding Share Option Related Taxes

Ireland Tax
Contributor
The Maples Group is a leading service provider offering clients a comprehensive range of legal services on the laws of the British Virgin Islands, the Cayman Islands, Ireland, Jersey and Luxembourg, and is an independent provider of fiduciary, fund services, regulatory and compliance, and entity formation and management services.
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