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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


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


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


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


HMRC defeats BBC presenters in IR35 tax tribunal
The taxman has defeated three BBC presenters in an IR35 tax tribunal ruling which could have significant repercussions for the broadcasting industry.
�HMRC has defeated three BBC presenters in an IR35 tax tribunal ruling which is expected to have sig� �position and used it to force the presenters into contracting through the PSCs and to accept reductions in pay.� �ll deemed within scope of IR35 during a series of contracts with the BBC. They have thus failed in their appe�

Category: News | Wed, 18 Sept 2019


BREAKING: Off-payroll IR35 Reforms to be repealed from April 2023
The Chancellor has today committed to repealing the Off-payroll legislation, which were supposed to reform IR35, but instead held businesses back.
�ayroll legislation, which were supposed to reform IR35, but instead held businesses back. The IR35 Refor�

Category: News | Fri, 23 Sept 2022


Being "in business on your own account" is key for contractors to stay outside IR35
If you are able to show you are in business on your own account you are on your way to staying outside. The objective is to prove you are not 'part and parcel'.
�ount" can be a strong pointer to being outside of IR35 . In the IR35 case of Atholl House , despite the� �usiness. Concurrent clients By the very nature of contracting it is frequently not possible to run concurrent c� �ompare percentages from other sources against the contract under review. For example, if the contractor work�

Category: Articles: IR35 | Wed, 26 Jan 2022


Prove your contract is outside IR35 by collecting key evidence
Contractors generate evidence about it every day and by filing it they could halt an HMRC review at the outset.
�collect key pieces of evidence likely to halt an IR35 investigation before it even gets started. Typica� �tion and which is beyond what you were originally contracted for, and your relationship with the client is suc� �t was done and how long it took. 4. Tendering for contracts Tendering clearly demonstrates that you are in bu� �ng the client that you are taking time out of the contract and make sure you keep a copy of the email. Times�

Category: Articles: IR35 | Mon, 01 Nov 2021


Contractors can avoid IR35 by using substitutes, subcontractors and helpers
You can use other workers to help fulfil contracts and thereby prove those contracts are outside.
�actual use of a substitute is considered by many IR35 experts to be the closest thing there is to a ‘si� �an contribute to fulfilling the requirements of a contract, particularly if the lead contractor falls ill or�

Category: Articles: IR35 | Wed, 06 Jan 2021


Keeping control keeps IR35 away from contractors
To stay outside, you should ensure you are not under the supervision, direction and control of your clients.
�ients may also be likely to be found to be inside IR35 . Control is one of the key tests of employment u� �when determining control. This is because in many contracts the contractor is required to work on the client’� �requires doing, which was outside of the original contract. There are two aspects to the ‘what’ factor: Does�

Category: Articles: IR35 | Thu, 07 Jan 2021


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