Originally posted by DonkeyRhubarb
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The scheme
The scheme is used mainly by individuals working as contractors (the ‘scheme users’) and earning at least £50,000 a year.
The scheme users became employees of an offshore employer for the 2011-12 tax year. The offshore employer seconded employees to a UK intermediary, which invoiced the companies using the scheme users’ services.
The offshore employer paid the scheme users the minimum wage. The scheme users would have been liable to pay the small amount of income tax and national insurance contributions due on this. The offshore employer loaned the scheme users the rest of the money they had earned as interest-free loans. Interest-free loans are a benefit in kind, and generate only a small tax charge. Thus, the scheme users received their full income, less any administration costs, but will have paid tax only on an amount equal to the minimum wage plus a small charge for the benefit in kind.
HM Revenue & Customs response
The scheme was notified to HMRC via DOTAS in July 2011. In August 2011, HMRC began investigating the scheme and issued a warning about this type of scheme on its website. The promoter met HMRC and explained how the scheme operated. HMRC also invited some of the scheme users to meet so that it could gather information about how the scheme worked and target its formal requests for information. HMRC could not oblige people to attend these meetings and none chose to do so.
HMRC knows that this scheme had approximately 1,500 users because the offshore employer would have had to submit a year end return listing its employees. HMRC received this information in May 2012. As HMRC has received scheme users’ tax returns, it has begun to open enquiries. It is investigating how much was received as loans, and whether these will in practice be repaid.
So HMRC knows about how these work but is taking its time to ged around to them all and close them down, it seems certain that the scheme providers will soon be looking for something else to do with their time.
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