ARTICLE
27 September 2022

EMI Options | HMRC Valuations

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Osborne Clarke

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Osborne Clarke is a global legal practice with over 250 years of experience, serving diverse clients from market leaders to high-growth start-ups. Their unique "3D approach" integrates legal expertise with sector insight and global trends. By considering external factors like regulations and market conditions, they provide forward-thinking advice that addresses both current challenges and future opportunities. This comprehensive strategy enables Osborne Clarke to help clients succeed in a rapidly changing world.

Companies granting tax-advantaged EMI options typically agree a valuation with HMRC Shares Valuation prior to the grant of options.
United Kingdom Employment and HR

Companies granting tax-advantaged EMI options typically agree a valuation with HMRC Shares Valuation prior to the grant of options.

During the coronavirus pandemic, HMRC temporarily extended the valuation agreement period for EMI options from 90 to 120 days. HMRC has confirmed that this temporary extension will end on 1 December 2022. Any EMI valuation agreement letters issued by HMRC on or after 1 December 2022 will be valid for 90 days only.

Companies operating EMI plans are reminded that it is important that options are granted within the valuation window agreed with HMRC, and that any material changes in circumstances which may affect the agreed valuation are promptly brought to HMRC's attention.

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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