Originally posted by AtW
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Loans from EBTs and other Trusts
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Originally posted by DonkeyRhubarb View PostYou may have missed this but the scheme was for their own employees, who I imagine might not be best pleased with the outcome.Comment
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Originally posted by AtW View PostI have not missed that - they should not have set it up in the first place: avoiding paying tax for the bank itself would be on top of their agenda for sure (maximising profits for shareholders), but they are certainly not in business of helping their staff to minimise personal taxation, it's not what their business is about and it just attracts bad PR and wrath of HMRC.
It would have saved them a shed load of national insurance, and it may also have been a way to increase (net) employee remuneration without it costing them a penny.Comment
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Originally posted by DonkeyRhubarb View PostIt would have saved them a shed load of national insurance, and it may also have been a way to increase (net) employee remuneration without it costing them a penny.Comment
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Originally posted by AtW View PostIt's not their fight - they make money from banking customers rather than from people who want to avoid paying tax that everybody else would be expected to pay.
Tax "planning" by these patently artificial mechanics does strike me as being absurdly risky especially now with HMRC employing time travel techniques which the courts seem reasonably comfortable to support.Comment
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Originally posted by TykeMerc View PostThat's not strictly speaking trueComment
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How could the Government legislate against self-employed loan schemes?
With the employed schemes it wasn't difficult because the loans were associated with an employer/employee relationship and could be classified as disguised remuneration.
However, with the self-employed schemes, the loans are no different to any other loan between party A and party B. How could you tax this kind of loan without affecting other loans?
One option open to HMRC would be to test whether people are genuinely self-employed BUT this would have to be done on a case by case basis since everyone's individual working arrangements will be different. With 3000+ users in these schemes this would be a logistical nightmare. It would be akin to undertaking 3000+ IR35 type investigations.
Am I missing something?Comment
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Well there is a difference normal loans are paid back, there is collateral and a purpose associated and there is an interest rate. If you get a business loan from a bank they don't just give it to you, you have to provide a business plan to justify it.
If the loan is permanent or rolled over and no interest is paid, it could easily be defined as disguised income.
Certainly not worth the risk.
It's the same differentiation between a mortgage loan from your employer and an EBT loan. If you work for a bank and get a loan from them it isn't taxed as remuneration, where as an EBT loan from the same bank would be.Last edited by BlasterBates; 13 November 2012, 14:13.I'm alright JackComment
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Originally posted by BlasterBates View PostIf the loan is permanent or rolled over and no interest is paid, it could easily be defined as disguised income.
I don't think it will be that easy to characterise these loans as income.
By the way, I am not advocating use of these schemes, just wondering how the authorities are going to deal with them.Comment
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Originally posted by DonkeyRhubarb View PostInterest free loans are common place, albeit they are usually associated with purchasing something.
Contractors (or the general public for that matter) have no problem distinguishing between disguised income and real loans, otherwise they wouldn't enter into these schemes. It would be naive to think that HMRC officials and judges in the tax courts wouldn't be able to.I'm alright JackComment
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