The PE incentive model remains intact…for now

The PE incentive model remains intact…for now

Determining how profit sharing will qualify for carried interest tax treatment in the UK from 2026 will be a complex matter.

By Adam Le

“Change must be felt” was how UK chancellor Rachel Reeves opened her address to parliament this week, presenting a budget that was widely expected to deliver on election promises of change and growth. That change will soon be felt by private equity executives in Britain – though to a lesser extent than initially feared.

To recap, carried interest for UK taxpayers will be levied at 32 percent from April next year – a 4 percentage-point jump on the current 28 percent rate. From April 2026 it will fall within the income tax framework with a likely effective rate of around 34 percent.

The industry has largely welcomed the announcement, as we detailed this week. “Milan property market crashes!” joked one London-based lawyer, commenting on the fact that PE execs will no longer be fleeing en masse to the tax-friendly northern Italian city. (As a side note, this discussion thread on an anonymous industry online forum about the pros and cons of...

Read the full commentary piece here.

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