Quite a few contractors will be receiving letters from HMRC mentioning S684 and their (alleged) powers to transfer liability as they see fit. This is a different situation than normal but nevertheless a situation that is causing understandable concern.
They ongoing Hoey case is challenging this discretion which is no doubt why HMRC are getting the letters out now before its heard.
The discretion they claim is based on their own internal manual only. Effectively they are stating that 'we can do this because we say we can here in a secretive manual'.
Options are:
1/Ignore for now as the letters i have seen are more informational rather than an actual demand for payment. Therefore wait until more serious and hope for the best.
2/Nip it in the bud and reply presenting your arguments.
Either option is reasonable and comes down to individuals own risk factor. Any tax firm (myself included) should be able to reply for you for minimal cost. Feel free to reach out if required though as i state, any firm should be able to make this go away until the courts in Hoey have decided on the matter so if you have representation do use them. Try not to worry too much and remember that to give in now, just before the case iin Hoey is heard, is exactly what HMRC hope for. If they were confident then they wouldnt need to undertake this latest onslaught of brown envelopes.
They ongoing Hoey case is challenging this discretion which is no doubt why HMRC are getting the letters out now before its heard.
The discretion they claim is based on their own internal manual only. Effectively they are stating that 'we can do this because we say we can here in a secretive manual'.
Options are:
1/Ignore for now as the letters i have seen are more informational rather than an actual demand for payment. Therefore wait until more serious and hope for the best.
2/Nip it in the bud and reply presenting your arguments.
Either option is reasonable and comes down to individuals own risk factor. Any tax firm (myself included) should be able to reply for you for minimal cost. Feel free to reach out if required though as i state, any firm should be able to make this go away until the courts in Hoey have decided on the matter so if you have representation do use them. Try not to worry too much and remember that to give in now, just before the case iin Hoey is heard, is exactly what HMRC hope for. If they were confident then they wouldnt need to undertake this latest onslaught of brown envelopes.
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