STSM115020 - Derivatives: warrants - stamp implications: secondary trading of a warrant

Stamp Duty

Where, before expiry:聽

  • the rights under a UK company registered warrant granted over underlying 鈥榮tock or marketable securities鈥� (section 122 Stamp Act 1891) are transferred and purchased; then聽
  • a 0.5% Stamp Duty charge may arise under Paragraphs 1 to 3 of Schedule 13 FA1999 calculated by reference to the amount or value of consideration paid for the transfer.

The reason for a charge is that an instrument of transfer may be required to be completed and executed where the legal and beneficial rights to the warrant previously聽registered in the legal name of the seller are acquired by the new purchaser.

Stamp Duty Reserve Tax (SDRT)

Whether a 0.5% SDRT charge under section 87 FA1986聽arises on any agreement to transfer rights under a warrant (before exercise or expiry of the warrant) covering 鈥榗hargeable securities鈥� (as defined in section 99 FA1986) to another person for consideration in money or money鈥檚 worth聽depends聽on the following:

  • If the terms of the UK company registered warrant provide only for a cash settlement upon exercise no SDRT聽charge arises
  • If the terms of the UK company registered warrant provide, upon exercise, for shares in the company to be delivered or vested on settlement, a charge to SDRT may arise. This is because the transfer of rights giving the new purchaser an opportunity to acquire stocks or shares will聽represent a chargeable security for SDRT per聽section 99(3)(c) FA1986.

However, the SDRT charge is cancelled where the transfer of a share warrant granted over underlying UK registered company stocks and shares is effected by the execution of an instrument of transfer which is duly stamped with any relevant 0.5% Stamp Duty or a Stamp Duty exemption/relief applies (section 92 FA1986).