5 months since the CoA hearing
- Visitors can check out the Forum FAQ by clicking this link. You have to register before you can post: click the REGISTER link above to proceed. To start viewing messages, select the forum that you want to visit from the selection below. View our Forum Privacy Policy.
- Want to receive the latest contracting news and advice straight to your inbox? Sign up to the ContractorUK newsletter here. Every sign up will also be entered into a draw to WIN £100 Amazon vouchers!
BN66 - Round 2 (Court of Appeal)
Collapse
This topic is closed.
X
X
Collapse
Topic is closed
-
-
TUPE
Transfer of Undertaking (Protection of Employment) law has been around for some time (1981 I believe). Cutting to the chase, TUPE is the legislation that protects rights of employees when a company is taken over or outsourced. What is relevant about it is that contractors, agency workers and the like are specifically excluded under TUPE. Or to put it another way, treated as non-employees of a given company they "contract" into for the purpose of employment law.
Now this raises a question or two. If I am working on a 12 month IT contract for one client, whether via Ltd, Umbrella or other, then as defined by TUPE I am not an employee of the client and have no employer / employee relationship. I must therefore not be an employee. If all my income is derived from that client then it is not via employment income. So in the case of IR35 and the various "tests" used to determine if I am caught by IR35, then does it not follow that whatever the tests, TUPE defines my relationship as not employed (or in simple terms, I am self-employed).
Does that not trump any IR35 claim? I cannot see how employment legislation clearly defines me as not employed for a given contract but IR35 tries to catch me for the purposes of employers tax liabilities.
And if this is true, then surely I can never be employed under TUPE so for the purpose of all my contracts I am always self employed for the purpose of TUPE. So what gives rise to any consideration of employers tax liabilities. Who is my employer who is "liable" for this tax element?
I appreciate that if you take this to the extreme then it follows that any "business" engaging with another on a contract basis is not liable for employers tax. But we're talking about an individual here. If I was employed by a larger outfit and they were taken over, I would be covered by TUPE. But I'm not.
All I can think is that I am self employed on a contract for employment law purposes and potentially employed under IR35 for tax purposes. Surely I cannot be both...
Why do I raise this? To understand the TUPE / contractor angle in relation to IR35 and how I am legally defined for tax purposes. No expert on this, but I need to square the circle. If every contract I have is TUPE free then I am not employed so no employer to pay employers tax. If HMRC propose to define me as liable to this tax, who is my employer? Can't be me under TUPE. Hmmm.Comment
-
Originally posted by Tax_shouldnt_be_taxing View PostDoes that not trump any IR35 claim? I cannot see how employment legislation clearly defines me as not employed for a given contract but IR35 tries to catch me for the purposes of employers tax liabilities.
TUPE was involved in Cable & Wireless v Muscat (2006). Transcript: Cable & Wireless Plc v Muscat [2006] EWCA Civ 220 (09 March 2006)Comment
-
Interesting
Originally posted by DonkeyRhubarb View Post5 months since the CoA hearing
Reform of the European Court of Human Rights: response to a modest proposal « UK Human Rights BlogComment
-
Don't miss this
This is a very interesting insight into the Supreme Court. (BBB I player)
Its a 'must see' Dont miss it
BBC iPlayer - The Highest Court in the Land: Justice MakersLast edited by Ganymede; 5 April 2011, 20:03.Comment
-
Originally posted by Ganymede View PostThis is a very interesting insight into the Supreme Court. (BBB I player)
Its a 'must see' DONT MISS IT !!
BBC iPlayer - The Highest Court in the Land: Justice Makers
It may not be your normal cup of tea as far as tv viewing goes but our eventual fate might be in the hands of these people.Comment
-
Originally posted by DonkeyRhubarb View PostWHS.
It may not be your normal cup of tea as far as tv viewing goes but our eventual fate might be in the hands of these people.Comment
-
Join the No To Retro Tax Campaign Now
"Tax evasion is easy: it involves breaking the law. By tax avoidance OECD means unacceptable avoidance ... This can be contrasted with acceptable tax planning. What is critical is transparency" - Donald Johnston, Secretary-General, OECDComment
-
This case I mentioned a while back, involving HMRC, has finally had a judgment announced to be handed down next week.
Case Tracker for Civil Appeals
The hearing was back in July, so it's taken 8½ months.
If our's was to take as long then we'd looking at June/July.Last edited by DonkeyRhubarb; 6 April 2011, 15:29.Comment
-
Comment
Topic is closed
- Home
- News & Features
- First Timers
- IR35 / S660 / BN66
- Employee Benefit Trusts
- Agency Workers Regulations
- MSC Legislation
- Limited Companies
- Dividends
- Umbrella Company
- VAT / Flat Rate VAT
- Job News & Guides
- Money News & Guides
- Guide to Contracts
- Successful Contracting
- Contracting Overseas
- Contractor Calculators
- MVL
- Contractor Expenses
Advertisers
Contractor Services
CUK News
- Secondary NI threshold sinking to £5,000: a limited company director’s explainer Dec 24 09:51
- Reeves sets Spring Statement 2025 for March 26th Dec 23 09:18
- Spot the hidden contractor Dec 20 10:43
- Accounting for Contractors Dec 19 15:30
- Chartered Accountants with MarchMutual Dec 19 15:05
- Chartered Accountants with March Mutual Dec 19 15:05
- Chartered Accountants Dec 19 15:05
- Unfairly barred from contracting? Petrofac just paid the price Dec 19 09:43
- An IR35 case law look back: contractor must-knows for 2025-26 Dec 18 09:30
- A contractor’s Autumn Budget financial review Dec 17 10:59
Comment