The house of lords has upheld the appeal by Arctic Systems

IR35 Test

The Revenue has lost the crucial Arctic Systems case involving the taxation of contractor revenue.

The Jones' case was lost by the Revenue who attempted to prevent contractors from distributing dividend income to members of their family who worked in the business.

This landmark tax case would have had implications for tens of thousands of small businesses if the HMRC had won it's appeal. Firms taking advantage of the common tax planning technique used by the Arctic Systems' owners, Geoff and Diana Jones, could have faced back-dated claims of around £42,000.

The Jones' battled HMRC for four years, including taking the case to the Court of Appeal, which ruled in their favour. HMRC then appeal that result, which is the ruling today.

According to Keith Gordon of Atlas Chambers, assisting counsel for Arctic Systems, "The case hinged on the fact that Mrs Jones held ordinary shares in Arctic Systems. As a result the Revenue was not able to claim that Mrs Jones's share of the company income could not be treated as a dividend."

The case hinged on the fact that Mrs Jones held ordinary shares in Arctic Systems

Keith Gordon - Atlas Chambers

Geoff Jones said: “Diana and I are delighted that the Law Lords have vindicated our position, and confirmed that we have done nothing wrong. This has been a terrible ordeal for us, which looked like it could cost us our home at one point. We’re relieved it’s all over, but I am still extremely angry that the Government tried to pull this stunt in the first place.”

PCG chairman David Ramsden commented: “This is an enormous relief for family businesses throughout the UK, who had been facing a tax rise from a previously obscure bit of law. We will now be working to ensure that HMRC respects this decision and does not attempt to penalise family businesses unfairly."

This is an enormous relief for family businesses throughout the UK

David Ramsden - PCG

Contractors can now continue to run their businesses as they always have.

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: Wednesday, July 25, 2007

© 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
  
     
  

Latest Site Updates

The tax avoidance arms race is MAD: mitigation, avoidance and disclosure The tax avoidance arms race is MAD: mitigation, avoidance and disclosure

The tax mitigation arms race between HMRC and tax advisors leads to a never-ending cycle of mitigation, avoidance and disclosure, says David Colom.

Does HMRC even know where its ‘better administration of IR35’ target is? Does HMRC even know where its ‘better administration of IR35’ target is?

If contractors agree to trial HMRC’s new IR35 framework for 12 months, how are we going to measure if ‘better administration’ has been achieved?

ContractorCalculator: Contracting news in brief - 18/May/2012 ContractorCalculator: Contracting news in brief - 18/May/2012

News this week includes the latest IR35 insights; P35 advice; contractor demand data; partial financial sector recovery; & HMRC service improvements.

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’.


  
  

Twitter

  • Will the new Enterprise Research Centre dedicated to SMEs recognise the role of contracting businesses in the economy? http://t.co/ACE31fIm

    5 hours ago

  • HMRC defends it tax gap calculations claiming external estimates are misleading http://t.co/7RWvC7bq via @AccountancyAge

    6 hours ago

  • The tax avoidance arms race is MAD: mitigation, avoidance and disclosure http://t.co/9q1WMPjD

    9 hours ago

  • Does HMRC even know where its ‘better administration of IR35’ target is? http://t.co/L3MuqlFz

    Mon, 21 May 2012

  • IT leads surge in Scottish contract recruitment : Bank of Scotland Report on Jobs http://t.co/QIrLKFGb

    Mon, 21 May 2012

  • How might government's 'secret plan' to link civil service earnings to location affect public sector contractor rates? http://t.co/fJClb0HG

    Sun, 20 May 2012

Follow Us On Twitter


  
     

  
  

Contractor solutions

Contractors Handbook AM Limited IR35 Test
  
Contractor accountants - pricing checklist
  

Contractor solutions

Choice Premier Pay+

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

Contractors Handbook

The expert guide for UK contractors and freelancers

Parasol Group

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

InTouch Accounting

Person to person contractor accountant. Free IR35 review.

Bedouin Group

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

NA D J Colom Accountants Bedouin Group Contractor Financials NewsNow
  
Elevate

  

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