It seems unlikely that HMRC would just drop an IR35 case just because somebody was low risk..if they looked at a contract and found that it was essentially an employment contract and thus caught by IR35, I don't think that they would just drop it because the company scored highly on the BETs.
I would also suggest that if somebody entered into a 'buddy' arrangment in order to advertise their business or give them office space when there is absolutely no need for it commercially then HMRC would be able to see straight through it.
Craig
I would also suggest that if somebody entered into a 'buddy' arrangment in order to advertise their business or give them office space when there is absolutely no need for it commercially then HMRC would be able to see straight through it.
Craig



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