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Tories should scrap IR35
The Economic Competitiveness Policy Group has proposed that the Tories should scrap IR35.
�on Conservative Party has today proposed scraping IR35 . This is an official statement by the Economic C�
Category:
News
| Fri, 17 Aug 2007
Contractors want to know whom they work for
The issues in James v. Greenwich will decide this and their determination is already changing the way IR35 claims are handled.
�within a week or so. Key To Employment Rights and IR35 ''This decision is crucial to determining whether� �ering parcels for Greenwich Council, but this was contracted for through an agency. James didn't get regular w� �f time is not by itself sufficient to mean that a contract of employment can or should be implied and this i�
Category:
News
| Mon, 05 Nov 2007
Contractor beats HMRC in IR35 case - Larkstar Data
Welsh contractor Larkstar has beaten down an IR35 attack from HMRC at the General Commissioners.
�contracting firm Larkstar Data Limited has won an IR35 case at the General Commissioners in January. Ala� �The Pontypool, Wales-based contracting firm Larkstar Data Limited has won an IR35 case a� �Automobile Association outside the context of the contract it originally engaged in,'' says Kell. ''There ar�
Category:
News
| Thu, 07 Feb 2008
IR35 danger: when your contract is different from the agency-client contract
HMRC always obtains the agency-client contract and compares it with the contractor contract. They rarely agree, and this spells trouble.
�In IR35 cases, HMRC always obtains the contract between t� �ract that you have with the agency. Two Different Contracts This presents a serious challenge to contractors,� �In IR35 cases, HMRC always obtains the contract between the agency and the client and compares it�
Category:
Articles: IR35
| Mon, 10 Mar 2008
Off-payroll (IR35) legislative fix is underway, to apply from April 2017
The government has finally decided to implement a legislative solution from 6 April 2024 to fix the double-taxation flaw in the IR35 reforms.
�onsultation document titled "Off-payroll working (IR35) – calculation of PAYE liability in cases of non-�
Category:
News
| Thu, 27 Apr 2023
IR35 and contracting bonuses – how to manage bonus payments
Contractors must adopt the correct terminology when agreeing to performance-based bonuses for a project.
�ayments can find themselves pitched straight into IR35 , as HMRC is likely to see such bonuses as being� �d with employment. In fact, that simple word on a contract may be sufficient to spark an IR35 enquiry. So co�
Category:
Articles: IR35
| Wed, 13 Jan 2021
Contracting termination clauses that avoid IR35 risk
The termination clause in a contract can result in a ruling going either way.
�ave a part to play in keeping contractors outside IR35 . Termination clauses and notice periods vary con� �So why should termination clauses be left out of contracts? If a project ends naturally ahead of schedule an� �clauses and notice periods vary considerably from contract to contract. Most are designed to protect the cli�
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Articles: IR35
| Mon, 18 Jan 2021
BREAKING NEWS: Kaye Adams IR35 ruling stands as Tribunal dismisses HMRC appeal
HMRC’s appeal against presenter Kaye Adams’ 2019 IR35 tribunal victory has been dismissed by the Upper Tribunal.
�r after an unsuccessful appeal against the deemed IR35 status of presenter Kaye Adams throughout engagem� �aced because, when entering into the hypothetical contracts here at issue, Ms Adams would have been entering� �” Ruling emphasises importance of ‘conduct of the contract’ HMRC successfully argued one of its grounds of a�
Category:
News
| Fri, 19 Feb 2021
Gary Lineker under HMRCs IR35 radar for £4.9 million
HMRC pursues presenter Gary Lineker for £4.9m in back taxes and NICs under IR35, despite his likely status of being in-business on his own account.
�and National Insurance Contributions (NICs) under IR35, the intermediaries legislation. This significant�
Category:
News
| Thu, 06 May 2021
Rough Tax Justice II – IR35 defence duo pinpoint importance of fact-find
The IR35 defence duo Chris Leslie of Tax Networks and Dave Chaplin of IR35 Shield explore issues at the coalface of their IR35 defence work.
�The IR35 defence duo Chris Leslie of Tax Networks and Dave� �skills and operated its business through several contracts in the IT Industry. HMRC’s opinion was that RALC� �to retrospectively consider IR35 status after the contract commenced, following which all the events had tak�
Category:
News
| Mon, 26 Jul 2021
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