The mixed remuneration package appears to be the most beneficial, although £20,600 (100,000 – 8,000 – 10,000 – 45,000 – 16,400) of Amphibian Ltd’s profits remain undrawn within the company. This is not an issue if profits need to be retained within the company (maybe to fund future capital expenditure), but otherwise distorts the comparison.
Also, Newt will not receive any benefit from the £10,000 pension scheme contribution until he retires. However, this approach to pension saving is more beneficial than Newt personally making contributions out of his taxed income.
The pension contribution reduces Amphibian Ltd’s taxable total profits (obtaining corporation tax relief at 20%) and there are no tax implications for Newt personally.
The total tax and NIC cost of a mixed remuneration package could be further reduced if Newt restricted his dividends to a level so that there was no 32.5% higher rate income tax liability, but this would mean retaining even more profit within Amphibian Ltd.
The following scenarios could all be examined based on what has been covered in example 1:
- Deciding whether an individual should operate as a sole trader or as a limited company.
- Deciding whether to incorporate a sole trader business.
- Deciding how much profit to extract from a limited company by way of salary compared with taking dividends.
A scenario need not necessarily relate to a single person, and could, for example, deal with the incorporation of a partnership.
To keep a question at the appropriate length, you will often be given some aspects of the answer. For example, you might be given the tax and NIC cost if an individual operates as a sole trader, and then have to calculate the cost of operating as a limited company. Alternatively, you might be given some of the separate tax or NIC costs. It is very important that you appreciate what figures you have already been given so that you do not waste a lot of time calculating them for yourself.
The interactions involved in this type of question can often cause problems. For example, note that director’s remuneration reduces the taxable total profits of Amphibian Ltd, but is then taxed as income in the hands of Newt. In contrast, the payment of dividends does not affect the calculation of Amphibian Ltd’s corporation tax liability. There are a couple of basic principles that you should remember:
- If all of a company’s profits are paid out as director’s remuneration (and related employer’s class 1 NIC) then there will not be any corporation liability.
- If profits are only drawn as dividends (or if director’s remuneration is below the NIC lower threshold) then there will be no NICs.
Inheritance tax (IHT) and capital gains tax (CGT)
Although the interaction of IHT and CGT is not examinable at F6 (UK), the two taxes could be examined within the same question and the information given could be relevant to both taxes.
For a lifetime gift of unquoted shares, the IHT transfer of value will be based on the diminution in value of the donor’s estate. In contrast, for CGT purposes the valuation will be based on the market value of the shares gifted.
Example 2
On 4 May 2015, Daniel made a gift to his son of 15,000 £1 ordinary shares in ABC Ltd, an unquoted investment company. Before the transfer, Daniel owned 60,000 shares out of ABC Ltd’s issued share capital of 100,000 £1 ordinary shares. ABC Ltd’s shares are worth £18 each for a holding of 60%, £10 each for a holding of 45% and £8 each for a holding of 15%.
Although Daniel’s son received a 15% shareholding valued at £120,000 (15,000 x £8), Daniel’s transfer of value is calculated as follows: