Employee stock purchase plan
This article needs additional citations for verification. (July 2021) |
In the United States, an employee stock purchase plan (ESPP) is a means by which employees of a corporation can purchase the corporation's stock, often at a discount. Employees contribute to the plan through payroll deductions, which build up between the offering date and the purchase date. At the purchase date, the company uses the accumulated funds to purchase shares in the company on behalf of the participating employees. The amount of the discount depends on the specific plan but can be as much as 15% lower than the market price.[1] ESPPs can also be subject to a vesting schedule, or length of time before the stock is available to the employees, typically one or two years of service.
Depending on when the employee sells the shares, the disposition will be classified as either qualified or not qualified. If the position is sold two years after the offering date and at least one year after the purchase date, the shares will fall under a qualified disposition. If the shares are sold within two years of the offering date or within one year after the purchase date the disposition will not be qualified. These positions will have different tax implications.
ESPPs differs from other types of employee stock ownership, such as Employee Stock Ownership Plans (ESOPs), both in how the stocks are bought, access to the stocks (either after vesting or upon retirement), taxation for the employees, and how much these plans cost to implement for the company.
The majority of publicly disclosed ESPPs in the United States are tax-qualified plans that follow the rules of Section 423 of the IRC.[2]
Participation rates in the US in ESPPs is around 30%.[1]
See also[]
References[]
- ^ a b Babenko, Ilona; Sen, Rik (2014-03-14). "Money Left on the Table: An Analysis of Participation in Employee Stock Purchase Plans". Rochester, NY. SSRN 2166012. Cite journal requires
|journal=
(help) - ^ Baker, Alisa (2012). The Stock Options Book, 13th edition. Oakland, California: The National Center for Employee Ownership. pp. 67–87. ISBN 978-1-932924-91-6.
External links[]
- U.S.C. 26 § 423 – The requirements for setting up an ESPP
- IRS Pub 525 (2006) – An example of calculating taxable income
- IRS Publication 15b (2006) – More guidance
- Taxation of ESPP sales
- Participation in ESPP plans
- ESOPs vs ESPPs
- Employee stock ownership
- Investment
- Taxation in the United States
- United States federal taxation legislation