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Contractors face escalated IR35 threat as HMRC starts flexing new Schedule 36 powers
Contractors will face a renewed threat when HMRC start applying powers available under Schedule 36 in IR35 cases, says Matt Boddington of Accountax.
�Contractors confident that their IR35 defence would stand up to HMRC ’s scrutiny in an� �and it is no secret that HMRC are hostile to the contracting sector.” Fortunately, plenty can be done to avoid� �he continues. “Minor amendments resulting from a contract review by a specialist would make it difficult fo�

Category: News | Mon, 28 Sept 2009


IR35 special report: 10 years that shook the world of UK contractors
ContractorCalculator marks 10 years of IR35 with expert perspectives on this controversial tax law - Download the 36 page special report now!
�g facts to come out of ContractorCalculator’s new IR35 special report on the past, present and future of� �ion of the fact that IR35 has helped shape modern contracting, for better or worse, ContractorCalculator has co�

Category: News | Mon, 02 Nov 2009


Contractor guide to IR35 case law
Case law is fundamental to the workings of the UK legal system and is often used to determine whether a contractor is inside or outside.
�Contractor employment status under IR35 legislation depends on the interpretation of both� �law expert who has a specific track record in the contracting sector and on IR35 cases. That expert will unders� �ses. That case established that for an employment contract to be in place, all three of the following condit�

Category: Articles: IR35 | Tue, 08 Jun 2010


Contractor guide to Mutuality of obligation (MOO) and IR35
Mutuality of obligation is one of the key factors used by a court or tribunal to determine whether it applies and a contractor’s employment status.
�Mutuality of obligation, or MOO, is one of the IR35 key tests of employment used by a tax tribunal or� �rvice HMRC Employment Status Manual Mutuality and contracts HMRC continues, saying that there does not need t� �contractor’s limited company should be engaged on contract for services basis , to perform a specific task f�

Category: Articles: IR35 | Wed, 30 Jun 2010


Contractors can use HMRC's employment status resources to help with IR35 status
HMRC’s online manuals for tax inspectors’ use provide contractors with insights into how not to be seen as an employee and how to stay outside.
�r is a disguised employee and therefore caught by IR35 can use the resources available in HMRC’s online� �There is also a revealing section on ‘opinions on contracts’, which includes case studies, as well as letter�

Category: Articles: IR35 | Thu, 01 Jul 2010


Contractor guide to HMRC’s IR35-related online information and advice
Contractors keen to learn about IR35 and its impact on their limited company contracting business can use HMRC’s website, but only with due caution.
�article has been updated and replaced with: HMRC IR35 information and advice - a guide for contractors� �35 and its implications for their limited company contracting business can find information HMRC’s website. If� �ion of an IR35 and employment law expert on their contracts and not to rely entirely on HMRC’s interpretation� �ind information HMRC’s website. If a contractor’s contract is found to be inside IR35 and they are judged to�

Category: Articles: IR35 | Thu, 01 Jul 2010


Contractor IR35 investigation for first time sparked by P35 service company question
HMRC may have started targeting contractors for IR35 investigations by using the P35 service company question, according to Seb Maley of Qdos
�t appears they may well become targets of an HMRC IR35 enforcement campaign. So warns Seb Maley of Qdos� �spector has asked to see the contractor’s current contract and to find out who reviewed it to establish whet�

Category: News | Mon, 05 Jul 2010


IR35 may be repealed or replaced, but the old rules will apply to previous contracts
Whatever happens, it will still apply to contracts completed in the years the legislation was in force, warns Qdos’ Andy Vessey.
�Contractors anticipating the demise of IR35 , as a consequence of the IR35 review being condu� �ts historical context. “Much has been made in the contracting community about unfair retrospective tax legislat� �R35 house in order, as whatever happens in future contracts worked on until any new legislation comes into fo� �eir tax affairs with due care, commissioning IR35 contract reviews and keeping rigorous hard copy and electr�

Category: Articles: IR35 | Wed, 11 Aug 2010


Contractors caught by IR35 who believe the agent was at fault have few grounds to sue
Contractors may blame their agent for landing them with a contract inside, but they have few legal options.
�ractors who find that their contract is caught by IR35 often seek to pass the blame to their agency, cla� �y misled the contractor. In addition, many agency contracts have exclusion clauses that disallow the contract� �Contractors who find that their contract is caught by IR35 often seek to pass the blame to�

Category: Articles: IR35 | Sat, 01 May 2010


Vote to scrap or repeal IR35 on Treasury website, contractors urged
The government’s Spending Challenge on the Treasury website enters its next phase, with UK public asked to vote on options – including scrapping IR35.
�options include several calling for the repeal of IR35 , with claims that the tax costs HMRC and the Tre� �to reintroduce a fair tax regime for the flexible contracting workforce. “Contractors can show government that�

Category: News | Wed, 18 Aug 2010


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