New revenue guidance on section 660

IR35 Test

The Inland Revenue has published a new guidance booklet on Section 660 - the so-called married couple's business tax.

The 49-page document, 'A Guide to the Settlements Legislation for Small Business Advisers', published today (November 18) brings together in one place all of the existing, and some new, Inland Revenue guidance on the application of the settlements legislation to small businesses. The guidance is intended for use primarily by tax practitioners and accountants.

It contains some background and general principles on the settlements legislation, followed by some specific details on how the legislation applies to business situations. There is also guidance on completing the SA return, especially where the taxpayer/adviser does not agree the Inland Revenue’s view of how the settlements legislation applies.

The booklet begins by explaining the Revenue's approach to Section 660.

It says: "The settlements legislation is anti-avoidance legislation intended to prevent an individual from gaining a tax advantage by making arrangements which divert his or her income to another person who is liable at a lower rate of tax or is not liable to income tax. Most commonly the legislation will apply where an individual seeks to divert income to members of their family or to friends. A good test of whether or not the legislation applies in a business situation is to consider whether the same payments would be made to a person who acquired shares in a company or a share of a partnership at arms length. Or whether income is being paid simply because the recipient is a spouse or child or some other individual the business person might wish to benefit."

Editors note (Feb 2012):
The original settlements legislation dates back to the 1930s and was subsequently updated first in 1988, when it became the more familiar Section 660. It was changed again in 2005 when it was updated and rewritten into its current form as Section 624 of the Income Tax (Trading and Other Income) Act (ITTOIA) 2005. See more information on the current settlements legislation.

Published: Thursday, November 18, 2004

© 2012 All rights reserved. Reproduction in whole or in part without permission is prohibited. Please see our copyright notice. If you want to use any content you have seen on this site then please request our media pack and ask for details of our Content Licencing Service.


Readers Comments...


  
Bookmark and Share
  
     
  

Section 660

Related Guides

Section 660

  
  

Latest Site Updates

P35 guidance: unsure contractors should answer ‘no’ to service co question, says HMRC P35 guidance: unsure contractors should answer ‘no’ to service co question, says HMRC

Contractors are not legally obliged to answer the P35 question 6, ‘Are you a Service Company?’, and if they’re unsure should answer ‘no’.

No certainty from HMRC’s new IR35 framework, but the policy debate must be sustained No certainty from HMRC’s new IR35 framework, but the policy debate must be sustained

No certainty for limited company contractors yet, but the policy debate is far from over, say OTS Tax Director John Whiting and PCG’s Simon McVicker.

IR35 certainty for contractors? So close and, perhaps, not so far IR35 certainty for contractors? So close and, perhaps, not so far

Contractors are very close to enjoying a potential three-year rolling’ IR35 amnesty’ if we keep our nerve and help HMRC improve its new test regime.

“Keep calm and contract on”, IR35 experts tell contractors following HMRC’s new tests “Keep calm and contract on”, IR35 experts tell contractors following HMRC’s new tests

It’s IR35 business as usual for contractors – IR35 experts Andy Vessey of Qdos and Kate Cottrell of Bauer & Cottrell respond to the new HMRC tests.


  
  

Twitter

  • UK unemployment falls by 45000 in the three months to Match: ONS Labour Market Statistics: http://t.co/TirSQ6ai

    22 hours ago

  • Manufacturers urge government to offer more support to the sector: BDO survey http://t.co/73Z9AUFz via @BBCNews

    23 hours ago

  • No certainty from HMRC’s new IR35 framework, but the policy debate must be sustained http://t.co/idtjsXEj

    23 hours ago

  • IR35 certainty for contractors? So close and, perhaps, not so far http://t.co/8v7LDXcI

    Tue, 15 May 2012

  • Financial sector jobs at six-month high: Morgan McKinley London Employment Monitor April 2012 http://t.co/8qbyoEje

    Mon, 14 May 2012

  • Interims won't take public sector assignments under PAYE says Interim Management Association chair http://t.co/uMXMguQi via @Publicleaders

    Mon, 14 May 2012

Follow Us On Twitter


  
     

  
  

Contractor solutions

Contractors Handbook AM Limited IR35 Test
  
Contractor accountants - pricing checklist
  

Contractor solutions

Bedouin Group

No more IR35. Retain up to 85% of your earnings.

Choice Premier Pay+

Take home up to 85% of your pay. IR35 solution.

Contractors Handbook

The expert guide for UK contractors and freelancers

InTouch Accounting

Person to person contractor accountant. Free IR35 review.

Parasol Group

Umbrella or Limited? Guidance on best options, and take home pay.

NA Bedouin Group D J Colom Accountants Contractor Financials NewsNow
  
Elevate

  

The UK's leading contractor site. Independently audited traffic (ABC) – 156,346 monthly unique visitors.