18 July 2024 Julia Ascott, Employment Taxes Specialist
The provision by an employer of onsite nurseries facilities to their employees should be a tax free benefit as there is a specific exemption (S318 of ITEPA 2004 for tax nerds) available. Employees typically pay for nursery places via a salary sacrifice arrangement.
In the latest issue of HMRC’s Agent Update, there is an article clarifying the conditions that must be met if your onsite nursery is run by a third party to qualify for the exemption. Essentially, if you have a partnership with a third party commercial nursery provider for the provision of nursery facilities within your campus, the HEP must be wholly or partly responsible for financing and managing the provision of care. What does this mean?
Responsibility for financing – the employer must accept material financial responsibility
HMRC state: “This requires more than purchasing places at a commercial nursery and making contributions to fixed costs. HMRC does not consider only paying fixed costs of ‘£x’ (such as a notional £100 per month per employee’s child) to a commercially run nursery already in existence satisfies the requirement. Employers must accept the financial risk associated with running a childcare facility, which is likely to take the form of contributing to overall costs and is such that there is also joint responsibility for any losses.”
Responsibility for management – the employer must take an active role in inputting into and influencing/making management decisions.
HMRC examples include:
HMRC also provide examples of what isn’t an active role, including:
Whilst HMRC are highlighting the issues they have found, they also state “HMRC believe the majority of workplace nursery partnership schemes satisfy the requirements, we have been alerted to a small number of scheme operators advertising their services with HMRC approval, where the partnership requirements are not met.”
Next steps
We recommend that if you have a partnership arrangement, you review to:
For further information: