Understanding scheme specific tax free cash
Up to 30 CPD minutes
Introduction
This module should take around 30 minutes to complete. It includes a short self-assessment quiz to test what you’ve learned. A 30 minutes CII/PFS accredited CPD certificate can be claimed.
Outcomes
- Determine if clients could be entitled to scheme specific tax free cash
- Explain the conditions that must be met to allow protected tax free cash to be paid, including the special rules for ‘stand-alone lump sums’
- Calculate current protected tax free cash entitlement, based on A-Day values
- Explain when protected tax free cash rights can be retained on transferring to another pension scheme
Learning material
Please read the learning material before attempting the self-assessment questions.
CPD minutes: up to 30
Post learning assessment
Question 1
a. Available to pre A-Day members of occupational or section 226 schemes who were entitled to more than 25% tax free cash on 5 April 2006
b. Not available to clients who had registered tax free cash under enhanced and/or primary protection
c. Scheme specific tax free cash rights had to be registered by 5 April 2009
d. All benefits under the scheme have to be crystallised at the same time
Question 2
a. Benefits are taken in stages (phased)
b. Contributions are made to the scheme
c. A block transfer to a newly established scheme
d. The member decides to take less than their 100% tax free cash entitlement.
Question 3
a. A block transfer to a brand new scheme
b. A transfer to a section 32 on scheme wind-up
c. A partial transfer
d. A block transfer to a scheme where the individual has been a member for several years
Check your answers
Any reference to legislation and tax is based on our understanding of United Kingdom law and HM Revenue & Customs practice at the date of production. These may be subject to change in the future. Tax rates and reliefs may be altered. The value of tax reliefs to the investor depends on their financial circumstances. No guarantees are given regarding the effectiveness of any arrangements entered into on the basis of these comments.