Skip to content
MEDIUM
FISCAL

Exercise of a share sale option may be treated as income from work and capital gain

V0789-25

Prepared and reviewed by the BMC editorial team  ·  Methodology

Technical details

Type
consulta-vinculante (what is this?)
Identifier
V0789-25
Published
6 May 2025

Summary

A lawyer consults on the tax treatment of selling shares in his company after retiring under a share purchase option contract. The DGT responds that granting a share sale option to employees constitutes income from work in kind, with the difference between market value and transfer value being income, and the difference between market value and acquisition value being a capital gain.

In 6 key points

Lifecycle

2025-05-06PublishedPublished in the BOE
Official text Based on BOE data (boe.es). Information, not advice.

Does this provision affect you?

The fiscal team reviews your specific situation.

Talk to the fiscal team
This analysis is informational only and does not constitute legal advice or create a client-adviser relationship. BM Consulting.
Email
Contact