ESM2630 - Tax and NICs consequences
A contract of training will not usually give rise to any charge
to income tax or liability for NICs. There is only a remote
possibility that there might be a charge under Case III of Schedule
D.
It should however be noted that, in the context of the
overall arrangements, payments received during a training period
may actually be inducement payments or “golden hellos”
and therefore chargeable under Schedule E/as employment income (see
SE00700/EIM00700).
The provisions of Statement of Practice 4/86 should be borne
in mind when considering the income tax consequences (see
SE06206/EIM6235) of payments to individuals released by employers
to undertake a full-time educational course, including a
“sandwich” course, at a university, technical college,
or similar educational establishment.
