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Contractors may benefit from OTS employment status review, which could affect IR35
Contractors could benefit from the findings of a review of employment status initiated by the Office of Tax Simplification, due out for Budget 2015.
�ployment status. The review might even affect the IR35 tax legislation. According to the OTS, the review� �ifically acknowledge the so-called ‘third way’ of contracting and freelancing, then contractors would benefit.”�
Category:
News
| Thu, 31 Jul 2014
Contractors holiday pay ruling should make clients more supportive on IR35 status
Contractors could find clients much more helpful on IR35 status following a recent House of Lords ruling on holiday pay for ‘worker’ contractors.
�g clients to ensure their contractors are outside IR35 . This follows the recent Stringer v HM Revenue &� �of sub-contractors should be reviewing their contracts already in place and any new contracts as a matte� �nt,” explains Taylor. “Firstly, there has to be a contract in place. Secondly, the worker is personally requ�
Category:
News
| Mon, 03 Aug 2009
IR35: HMRC’s reliance on client evidence is failing, saving one contractor over £50k
Accountax’s IR35 victory on behalf of a PCG client shows that HMRC’s reliance on client evidence is failing, as did its previous focus on contracts.
�HMRC’s latest strategy of attempting to win IR35 cases by using client testimony to claim contract� �e early days of IR35 was to focus on contractor’s contracts. As a result, contractors have learned how to hav� �ts the importance of contractors undertaking IR35 contract reviews before signing a contract , and then keep�
Category:
News
| Wed, 19 Aug 2009
New IR35 ruling: Partial victory for JLJ Services v HMRC
Contractor John Spencer’s company JLJ Services failed to win its IR35 case outright against HMRC but reduced its £140,000 tax bill.
�Spencer’s company JLJ Services has won a partial IR35 victory in its four-year battle against HMRC. It� �ey facts of the case: IT contractor John Spencer, contracting via his own company JLJ Services, worked on contr� �cting via his own company JLJ Services, worked on contracts for client Allianz from 2000 to 2007 HMRC claimed� �n ruled that only the last four of the seven-year contract with client Allianz were inside IR35. Key facts o�
Category:
News
| Fri, 09 Dec 2011
Contractor avoids £141,000 tax bill with partial victory in IR35 tribunal ruling
Contractor John Spencer’s company JLJ Services failed to win its IR35 case outright, but IR35 was found to apply in only 4 of the 7 years in dispute.
�ven-year contract with client Allianz were inside IR35 . Spencer’s representative, accountant Neil Awber� �Key facts of the case IT contractor John Spencer, contracting via his own company JLJ Services, worked on contr� �cting via his own company JLJ Services, worked on contracts for client Allianz from 2000 to 2007 HMRC claimed� �n ruled that only the last four of the seven-year contract with client Allianz were inside IR35 . Spencer’s�
Category:
News
| Mon, 12 Dec 2011
HMRC refuses to stand by “irrelevant” CEST in IR35 tribunal case
HMRC has attempted to have evidence based on CEST struck out of an ongoing IR35 tribunal case, with its counsel branding the tool “irrelevant”.
�ST) tool omitted from consideration in an ongoing IR35 tribunal case. In the case of RALC Consulting Ltd� �by the tribunal; namely whether the hypothetical contracts between Mr Alcock and the clients would have been�
Category:
News
| Mon, 01 Jul 2019
Lorraine Kelly IR35 ruling proves HMRC’s CEST tool is biased and inaccurate
HMRC’s CEST tool has again failed to reach the same decision made at tribunal, having been tested against yesterday’s Lorraine Kelly IR35 judgment.
�ing arrangement established in the Lorraine Kelly IR35 tribunal case, published yesterday. In a decisive� �w the sufficient degree required to demonstrate a contract of service and we are satisfied that the factors�
Category:
News
| Thu, 21 Mar 2019
Misleading letters from HMRC and the Treasury re-emphasise tin-eared approach to IR35
Letters demonstrating the stubborn approach to IR35 shared by HMRC and HMT have reinforced the impending threat to the private sector and UK plc.
�d Government’s ignorant and tin-eared approach to IR35. In May, an open letter from ContractorCalculator�
Category:
News
| Mon, 22 Jul 2019
Television presenter Helen Fospero defeats HMRC at IR35 tax tribunal
Television presenter Helen Fospero has overcome HMRC in an IR35 tribunal judgment which bore resemblance to the recent Kaye Adams case.
�ecome the latest broadcaster to defeat HMRC at an IR35 tax tribunal, in a case that will raise further q� �rmining employment status in addition to the main contract. The judge placed considerable reliance on the ap�
Category:
News
| Wed, 06 Nov 2019
Rough Tax Justice: ‘Team RALC’ dissects its IR35 Tribunal victory
Chris Leslie of Tax Networks Ltd and ContractorCalculator CEO Dave Chaplin dissect Team RALC’s IR35 Tribunal victory over HMRC.
�orCalculator CEO Dave Chaplin dissect Team RALC’s IR35 Tribunal victory over HMRC. Following a five-year� �who Richard briefly reported to during one of his contracts. The deputy director left the DWP shortly thereaf� �the intention of explaining the operation of the contract. However, despite being asked on three occasions,�
Category:
News
| Mon, 30 Dec 2019
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