Pension 1 | £9,000 |
Pension 2 | £8,500 |
Pension 3 | £9,500 |
Total | £27,000 |
Pensions
Last Updated: 6 Apr 24 8 min read
1. What is a pension small pot payment?
2. Small pots – what do you need to know?
3. Small Pots - Lifetime Allowance and the Lump Sum Allowance
If clients have small pensions, they may be able to take them as cash lump sums – up to three small pots of £10,000 each from non-occupational pension schemes and an unlimited number from occupational pension schemes, subject to rules.
A small pot payment (properly called ‘small lump sum’) can be made from any arrangement, whether the rights are uncrystallised or comprise a pension in payment, irrespective of the overall value of the individual's pension's worth. Up to three small non-occupational pensions (personal pension plans etc.) can be commuted under small pots payments, but there’s no limit on the number of occupational pensions that can be taken under small pots. To allow the payment of small pot commutation, the following conditions need to be fulfilled:
in respect of non-occupational pensions (personal pensions etc.), there’s a maximum of three small pot payments are permitted. A full list of the conditions is in the Pensions Tax Manual (PTM063700) covering;
Small pots from non-occupational pension schemes are about arrangements, not schemes
‘Small pots’ applies at arrangement level rather than scheme level. So the payments can be made from two or three separate registered pension schemes or from the same scheme where the payments are made from two or three different arrangements under that scheme.
Small pot payments extinguish the member’s entitlement to benefits under the arrangement from which the payment is made, but not necessarily their entitlement under the scheme as a whole. A member can take a small lump sum even though they may still have an entitlement to benefits under another arrangement in that scheme.
For example 100 or even 1000 arrangements under the same registered pension scheme, where each arrangement contains well under the commutation limit under this regulation. Subject to what the scheme rules allow, these funds may be consolidated either by merging arrangements into a smaller number of arrangements or by a transfer of funds between multiple arrangements. This allows the maximum small pot to be taken from either one or each of two or three arrangements under the scheme. A ‘reshaping’ of existing arrangements (either by merging multiple arrangements or internal transfers of funds between multiple arrangements in the same scheme) won’t involve the setting up of a new arrangement. This avoids any potential consequences for members who have valid enhanced protection, fixed protection, fixed protection 2014 or fixed protection 2016.
If a member has funds in excess of the limit in an existing single arrangement, some of which are then moved into arrangements set up to allow a member to take one, two or three small lump sum payments under Regulation 11A, this will entail the setting up of one or more new arrangements. This could potentially have consequences if the member has valid enhanced protection or any of the fixed protections (i.e. the protection would be lost).
Please note: small pots don’t trigger the money purchase annual allowance (MPAA). We’ve written more about this in our Money Purchase Annual Allowance article.
Where the payment represents uncrystallised benefit rights, 25% of the payment is free of income tax, and the balance of the payment is chargeable to income tax as pension income. If the payment represents crystallised rights, all of the payment is chargeable to income tax as pension income. Where the payment represents a mixture of both uncrystallised and crystallised benefit rights, only 25% of the part of the payment relating to the uncrystallised rights can be paid free of income tax.
Prior to the abolition of the Lifetime Allowance on 6 April 2024, small pot payments, did not use, or require the customer to have any available, lifetime allowance (LTA). Therefore by definition, they do not use any LTA.
Similarly, small pots paid on or after 6 April 2024 do not need Lump Sum Allowance (LSA) or Lump Sum and Death Benefit Allowance to be paid and do not use them up.
Mr James lives in England and has three pension plans he has built up over his working life but has never consolidated. These plans are uncrystallised, however you can use small pots from crystallised funds, but there would be no tax free element to a small pots payment from these. They are valued at:
Pension 1 | £9,000 |
Pension 2 | £8,500 |
Pension 3 | £9,500 |
Total | £27,000 |
To extract this, Mr James closes pots 1-3 under the small pots rule. This returns:
Gross total | £27,000 |
Tax-free cash | £6,750 |
Balance taxed at marginal rate, (assuming total income does not exceed basic rate tax band=20%) | £20,250 - £4,050 = £16,200 |
Total extracted | £6,750 + £16,200 = £22,950 |
Scottish taxpayers will pay the Scottish rate of income tax (SRIT) on non-savings and non-dividend (NSND) income. NSND income includes employment income, profits from self-employment (including sole trades and partnerships), rental profits, and pension income (including the state pension). Similarly, from 6 April 2019 Welsh Taxpayers pay the Welsh Rate of Income Tax (CRIT (C for Cymru)) on NSND income.
Other tax and deductions such as Corporation Tax, dividends, savings income and National Insurance Contributions etc. will remain based on UK rules. This could mean the amount of income tax relief which can be claimed on pension contributions by Scottish and UK tax payers may not be the same. For more info on SRIT and how this works in practice, please visit our facts page. For more info on CRIT and how this works in practice, please visit our facts page.
This payment is likely to be taxed at basic rate initially with the client needing to sort out any overpaid or underpaid tax with HMRC directly.
HMRC PTM063700
Trivial commutation is where a defined benefit pension member may commute one or more pension arrangements as long as they comply with the following:
If the member hasn’t previously drawn or become entitled to any other benefits under the registered pension scheme before the trivial commutation lump sum is paid, 75% of the lump sum paid is treated as taxable pension income for the tax year the payment is made, accountable through PAYE. The 25% deduction is given to reflect that, if the trivial commutation lump sum wasn’t paid and normal benefit rules applied, the member would (generally) be entitled to a tax-free pension commencement lump sum, representing 25% of the capital value of the benefits coming into payment. No extra deduction is given where the member is entitled to a pension commencement lump sum of more than 25%, due to the transitional protection of such an entitlement held before 6 April 2006.
Where a pension in payment is being commuted, or the member has previously drawn (or become entitled to) any other benefit from the scheme, but still has uncrystallised rights held in any arrangement under the scheme, 25% of the value of the uncrystallised rights may be paid tax-free. The remaining part of the payment is taxed as pension income for the tax year the lump sum payment is made. Again, this taxable income is accountable through PAYE.
Since April 2015, trivial commutation of all pension benefits has only been relevant to defined benefit pension schemes. Historically, it was also used for defined contribution schemes. However, the introduction of pensions flexibility for DC schemes after April 2015 removed the need for this option, as all DC benefits can now be accessed as lump sum (regardless of the amount).
If, on the death of a member the capital value of the following pensions is under £30,000 per scheme, a commutation lump sum death benefit can be paid instead of the ongoing pension benefit:
The commutation lump sum death benefit will be subject to marginal rate income tax in the hands of the recipient.
A trivial commutation lump sum death benefit paid before 6 April 2024 did not use up any of the deceased member’s or the recipient’s lifetime allowance. For the avoidance of doubt, payments on or after 6 April 2024 do not use any of the deceased member’s lump sum and death benefit allowance.
HMRC Pension Tax Manual - PTM073700
Submit your details and your question and one of your Account Managers will be in touch.