Hi folks, I’ve been lurking on this thread for a while, whilst also doing some background research into this issue. In an effort to possibly provide some reassurance to those who are having a pretty dreadful time right now I suggest you read the following https://www.gov.uk/hmrc-internal-man...manual/esm3520.
This doc is helpful in that it lays out HMRC’s MSC logic which lines up with the FT article. I’m not saying I agree with their logic but it does elaborate their thinking on what they consider influence and or control and importantly what they don’t, which will hopefully dispel some of the incorrect assumptions I’ve read in this thread.
Early in the doc it states that HMRCs starting position is if your service provider is considered an MSCP then they will initially consider all associated contractors MSCs, however they also state
“Even where some client companies are Managed Service Companies because a MSC Provider (or their associate) is involved with those companies, it does not necessarily follow that all client companies are MSCs if the relationship between the MSC Provider/associate and their clients is demonstrably different.”
A key HMRC perspective on MSCP influence, is if the accountant advises on profit distribution the HMRC really don’t like this. It is silent about portals indicating control as far as I can see.
I hope that this will help, it helped me with the specifics of the HMRC’s logic even though I disagree with it.
I wish you all good luck and honestly believe this to be a speculative exercise by the HMRC that will fail.
This doc is helpful in that it lays out HMRC’s MSC logic which lines up with the FT article. I’m not saying I agree with their logic but it does elaborate their thinking on what they consider influence and or control and importantly what they don’t, which will hopefully dispel some of the incorrect assumptions I’ve read in this thread.
Early in the doc it states that HMRCs starting position is if your service provider is considered an MSCP then they will initially consider all associated contractors MSCs, however they also state
“Even where some client companies are Managed Service Companies because a MSC Provider (or their associate) is involved with those companies, it does not necessarily follow that all client companies are MSCs if the relationship between the MSC Provider/associate and their clients is demonstrably different.”
A key HMRC perspective on MSCP influence, is if the accountant advises on profit distribution the HMRC really don’t like this. It is silent about portals indicating control as far as I can see.
I hope that this will help, it helped me with the specifics of the HMRC’s logic even though I disagree with it.
I wish you all good luck and honestly believe this to be a speculative exercise by the HMRC that will fail.
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