I have been trying to think of some examples that would show just how badly this could work out in the real world. Please let me know what your thoughts are regarding the below, if I have misunderstood anything etc. My intention is to send some examples to my MP and FSB and other bodies as I am amazed that the FB 2017 consultation shows that there will be no "negative macro-economic impact as a result".
Joe owns a business that employs a number of staff to provide knowledge based project services to business clients across the UK. This involves, for some projects, Joe’s employees working at the client site. Joe’s employees are paid via his company payroll. IR35 cannot apply to the employees as they do not own any material interest (5%) in Joe’s company which is receiving payment for the services. Expenses incurred for T&S when Joe sends his employees away are legitimate business expenses and are offset against tax.
Joe's company often receives calls from a recruitment agent who they have had dealings with for many many years. The agency has, from time to time, PS clients seeking expertise in Joe's niche area. Joe takes a call in relation to an opportunity with a PS client. He learns that the work will involve a mixture of consultancy and delivery, advising the client but then taking the client's instructions as to which elements to implement. The work is small enough to be performed by one resource over a 6 month period primarily at the client’s site, which is at the other end of the country. All Joe’s employees are busy so he decides to perform the services himself rather than turn down the business from a new client. Under current HMRC guidance the end-client will review the "working practices only", and determines "the role" to be “inside IR35”. They notify the agency who is forced to treat Joe as a "deemed employee" and requests his NI number so that the payment due to his company can be taxed as if it were a payment to him personally. Joe will incur significant T&S expenses to perform the contract but none are to be allowed before the payment is taxed. Joe disagrees with the clients view and refuses to provide his NI information leading to the relationship breaking down between him, the agent and the end-client with no economic activity taking place.
Joe owns a business that employs a number of staff to provide knowledge based project services to business clients across the UK. This involves, for some projects, Joe’s employees working at the client site. Joe’s employees are paid via his company payroll. IR35 cannot apply to the employees as they do not own any material interest (5%) in Joe’s company which is receiving payment for the services. Expenses incurred for T&S when Joe sends his employees away are legitimate business expenses and are offset against tax.
Joe's company often receives calls from a recruitment agent who they have had dealings with for many many years. The agency has, from time to time, PS clients seeking expertise in Joe's niche area. Joe takes a call in relation to an opportunity with a PS client. He learns that the work will involve a mixture of consultancy and delivery, advising the client but then taking the client's instructions as to which elements to implement. The work is small enough to be performed by one resource over a 6 month period primarily at the client’s site, which is at the other end of the country. All Joe’s employees are busy so he decides to perform the services himself rather than turn down the business from a new client. Under current HMRC guidance the end-client will review the "working practices only", and determines "the role" to be “inside IR35”. They notify the agency who is forced to treat Joe as a "deemed employee" and requests his NI number so that the payment due to his company can be taxed as if it were a payment to him personally. Joe will incur significant T&S expenses to perform the contract but none are to be allowed before the payment is taxed. Joe disagrees with the clients view and refuses to provide his NI information leading to the relationship breaking down between him, the agent and the end-client with no economic activity taking place.
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