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Legal 14

Legal 14

Gateway 14 Ltd, wholly owned by Mid Suffolk District Council, exchanged conditional contracts with The Range in July to develop the distribution unit with its development partner Jaynic, on a freehold turnkey basis.

The Range, which is planning rapid expansion over the next five years, already has two existing major distribution centres in the UK. The new site will help meet consumer demand in the South and South East while supporting operations across the UK.

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Sir Christopher Haworth, chair, Gateway 14 Ltd, commented: “Welcoming The Range to Gateway 14 is a significant step forward for the site and demonstrates its important position in Suffolk and the wider Eastern region. Gateway 14 has huge potential not only for nationally important brands like The Range, but also to support local and small businesses.”

Ben Oughton, Development Director of Jaynic, said: “We are committed to delivering a high specification building for The Range with sustainability a central feature of the project with a target delivery date of autumn 2023.” Gateway 14 is part of the new low-tax, low-regulation zone of Freeport East. The government’s Freeports initiative allows firms to import goods and then re-export them outside normal tax and customs rules.

Businesses located at Gateway 14 will benefit from being part of Freeport East, one of only eight Freeports in the UK.

The Freeport status will provide many businesses on Gateway 14 with a range of benefits including a suite of tax reliefs and simplified customs arrangements.

George Kieffer, Acting Chairman of Freeport East, explained: “The unique location of Freeport East, close to some of the world’s major international shipping routes, provides a range of benefits to businesses which locate here. Freeport East is focused upon value-added logistics, advanced manufacturing and the clean energy sectors, and we are delighted to welcome The Range as the first of what will be many businesses to commit to the Freeport.”

Agents for the Gateway 14 scheme are Avison Young and Savills.

GATEWAY 14

gateway14.com

IS NOW THE TIME TO CONSIDER AN ENTERPRISE MANAGEMENT INCENTIVE (EMI) SCHEME?

As inflation in the UK hits a 40-year high, business costs are soaring. Many employers are dealing with staff attraction and retention issues as employees are looking for employment tax solutions to offset the cost-ofliving crisis where possible.

With businesses still recovering from the impact of COVID-19, cash resources are tight. Therefore, the implementation of noncash benefits such as share schemes, including the Enterprise Management Incentive Scheme, can be a great short-term investment to retain and motivate key staff.

Long-term benefits

Share schemes also have longer-term benefits. Their flexibility means they are a great way to align employees’ incentives with the goals of the business, be they turnover targets or perhaps a potential sale in the future. Enterprise Management Incentive (EMI) share schemes are the most popular method of offering employees a share of ownership in a business at some point in the future. This is achieved by awarding the employees options over shares, with the conditions to exercise these options and become a shareholder in the business being aligned to the goals of the business. Assuming that the exercise price (i.e., the price to convert the option to a share) of the options is no less than the market value at the date of the grant, there should be no income tax or National Insurance contributions (NIC) to pay at any point during the life of the option. This leaves just capital gains tax (CGT) payable on any eventual disposal of the shares acquired under the options. Given that CGT rates are currently lower than income tax rates, this can be extremely attractive compared to paying income tax and NIC. However, as with all HMRC tax advantaged schemes, there are specific qualifying conditions and both the employee and the company must qualify for EMI to be available.

Qualifying conditions

As a brief overview only, normally only the largest of companies (or those in complex group structures) are excluded from EMI and therefore it is certainly a share scheme to consider for most SMEs. To qualify for the generous tax advantages afforded by EMI, the gross assets of the company (or the group of companies if a parent company) must not exceed £30 million, and the options held by an employee must not exceed £250,000 in value. The company must also have fewer than 250 full-time employees (or equivalent), the participants in the scheme must generally work for the company at least 25 hours a week (or 75% of their working time if part time) and they must not already have a material interest in the company. Companies trading in certain sectors are unable to grant EMI qualifying options. Excluded activities include leasing, financial activities and property development.

How we can help

Making sure that a company qualifies for the tax reliefs afforded by EMI is an important part of the planning stage and something we are able to help with. However, if EMI is not available, there are other tax advantaged share schemes available, such as the Company Share Ownership Plan (CSOP), or with appropriate legal and tax advice, non HMRC approved schemes can be designed in a tax efficient manner.

For more information, please contact Tessa Brown on 0330 024 0888 or at enquiry@larking-gowen.co.uk.

Tessa Brown

Employment Tax Manager

LARKING GOWEN

SMART MANUFACTURING ALLIANCE

sma-uk.co.uk

PARTNERSHIP OFFERS CASHFLOW CERTAINTY TO LOCAL MANUFACTURERS

Manufacturers in Cambridgeshire and Peterborough can take greater control of their cashflow through a new corporate partnership between the Smart Manufacturing Alliance (SMA) and payments specialist, Saltare.

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