Originally posted by Zero Liability
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Another option could be to look again at some of the suggestions considered by the OTS, such as requiring an engagement to last a certain minimum amount of time to be considered one of employment.
From the OTS:
The main recommendation from this chapter is that the idea of a set de minimis level for
payments to an individual who carries out some activities for a business, which would definitely
not be an employment, should be explored. This might be in terms of time spent or payments
made and could link to the withholding tax idea discussed in Chapter 11.
payments to an individual who carries out some activities for a business, which would definitely
not be an employment, should be explored. This might be in terms of time spent or payments
made and could link to the withholding tax idea discussed in Chapter 11.
Chapter 11 is also relevant and alludes to how this wouldn't be "on payroll" in terms of the client operating PAYE, but in terms of a withholding tax deducted at source. In fact, I think Chapter 11 of that document describes exactly how it is going to operate...
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