102 results found for corporate governance. Showing page 7 of 11.
SPL response to HMRC consultation on approved plans
... with the effect of curtailing any right of exercise that might arise either before or after the corporate event as a result of provisions satisfying the requirements of paragraphs 32 (death) and 34 ...
Minutes of annual meeting of SPL and HMRC on 7 December 2005
... Rule 4.3 places restrictions on obtaining irrevocable commitments from private individuals or small corporate shareholders. The question is, is this irrevocable commitment given by a member of the board of the ...
Issues log for annual meeting of SPL and HMRC on 7 December 2005
... Rule 4.3 places restrictions on obtaining irrevocable commitments from private individuals or small corporate shareholders. Is this irrevocable commitment given by a member of the board of the offeree company a ...
5MLD-SPL - consultation paper response final
... consult with and make representations to the government and other institutions involved in taxation, corporate and other regulatory issues affecting employee share arrangements. We interact most frequently with ...
SPL submission to OTS on CGT
... consult and make representations to the Government and other institutions involved in taxation, corporate and other regulatory issues affecting employee share arrangements. We most frequently interact with ...
Minutes of a meeting between SPL tax committee and HMRC on 13 September 2012
... v.3 situation in which this may arise is if the majority shareholder transfers shares to a corporate trustee of a family trust. Can HMRC please confirm that, if the majority shareholder retains sole ...
Minutes of meeting between SPL tax committee and HMRC on 13 September 2012
... v.3 situation in which this may arise is if the majority shareholder transfers shares to a corporate trustee of a family trust. Can HMRC please confirm that, if the majority shareholder retains sole ...
Minutes of a call between SPL tax committee and HMRC on 29 November 2018
... context where the shares originally awarded have been converted into loan notes (“LNs”) following a corporate transaction. Under the AIS if, consequent upon a sale of a company, a SIP ends up holding LNs with ...
Minutes of a meeting between SPL tax committee and HMRC
... context where the shares originally awarded have been converted into loan notes (“LNs”) following a corporate transaction. Under the AIS if, consequent upon a sale of a company, a SIP ends up holding LNs with ...
Agenda for annual meeting between SPL and HMRC on 22 January 2014
... not then qualify for tax relief. What would be the consequences of this? B. Sharesave 7. Leavers and corporate events 7.1 Until recently, it has been normal practice for SAYE schemes to provide that options will ...