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HMRC Investigation Protection

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    #81
    Originally posted by prozak View Post
    So I take it that as long as I am doing short term contracts with short term renewals and that the projects I am working on are clearly defined (if not in the actual contract then verbally or emailed with the client) then I am in the same boat as Mr Spencer prior to 2003.
    Yep, here are the main points I see from this

    1. Don't stay with a client too long. A lot of "experts" stubbornly claim this has no bearing on IR35 - advice which is starting to look like unrelenting bull-tulip. All the main IR35 losses have involved long engagements.

    2. Focus on specific projects, rather than being a general fixer. This may be easier said than done, especially as time goes by - refer to point 1 again.

    3. It only takes a few small points to nail you. This guy wasn't generally complacent with IR35. He even paid for his own food at the Christmas dinner. The rolling contract was obviously a mistake, but I suspect he had convinced himself that it wasn't an issue. Hindsight is a wonderful thing.

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      #82
      Originally posted by THEPUMA View Post
      you will end up paying 25/36/46% on dividends which you could otherwise have left in the company and ultimately get out at somewhere between 0% and 10%.

      Given the stats re number of IR35 enquiries, personally I would risk it for a biscuit.
      this caught my eye , i would be interested in how you get money out at between 0% and 10%

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        #83
        Originally posted by mrdonuts View Post
        this caught my eye , i would be interested in how you get money out at between 0% and 10%
        I think s/he means after corporation tax.

        0% - Below personal tax threshold for the year (drip feed any company reserves out).
        10% - Entrepreneurs relief (can’t remember the HMR&C code)

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