82 results found for takeover. Showing page 4 of 9.
Corporate and Regulatory Committee Meeting
... industry bodies, and make representations where appropriate. The Market Abuse Regulation and Takeover Code working groups were also re-established. 2. UK Listing Rules The Committee reached out to the ...
Training talk on SIPs
... in one basket – Financial Education How are shares purchased? EBT? If trust in play still from a takeover of old company, can it be used for the new SIP for beneficiaries of old trust? Invoices – allow ...
Letter to HMRC on SAYE simplification
... no reason why interest should not be paid in these cases. Participants who have to exercise on a takeover in the first year of the arrangement can be disadvantaged and it can also lead to some perverse ...
Issues log for meeting of SPL tax committee and HMRC on 18 October 2006
... relating to a number of issues that arise when the compulsory acquisition procedure is operated on a takeover and the other dealing with schemes of arrangements. The papers make a number of suggestions as to ...
Training talk on Sharesave
... the shares will no longer meet the independence/listed company requirements of the SAYE Code 1 2 3 4 Takeover by way of general offer or scheme of arrangement or compulsory acquisition of shares (or certain ...
Minutes of a call between SPL tax committee and HMRC on 29 November 2018
... a copy of the new prospectus should contact ESSU. 2. Sharesave – arrangements in relation to takeover situations The Finance Act 2014 introduced a range of provisions designed to preserve tax-advantaged ...
Minutes of a meeting between SPL tax committee and HMRC
... a copy of the new prospectus should contact ESSU. 2. Sharesave – arrangements in relation to takeover situations The Finance Act 2014 introduced a range of provisions designed to preserve tax-advantaged ...
SPL submission on draft legislation for unapproved plans
... be consistent. 5.2 Section 1016(1A) – corporation tax relief on the exercise of options following a takeover This new section restricts the period for relief on the acquisition of securities following a ...
Minutes of annual meeting of SPL and HMRC on 16 December 2006
... already provide for options to be exercised early for a six- month period after the occurrence of a takeover , but there is no lapse provision at the end of that period, and so the option does not lapse until ...
Agenda for tax committee and HMRC meeting on 9 July 2014
... DAY RULE 5.1 FA 14 introduces new provisions for tax relief on exercise shortly before and after a takeover for CSOP and SAYE options. 5.2 We would like to discuss how these provisions affect new and existing ...