Originally posted by mrdonuts
View Post
Closing the PSC down and switching could be an interesting approach but will need someone with greater legal knowledge than my layman knowledge to offer an opinion. Could HMRC see the sequence of events: Inside determination >> Switch to Brolly >> Stay at same client >> Close PSC down as tax-avoidance activity at a later date and use it to open an inquiry into a dissolved company and go back and look at the previous 20 years instead of the statuary 4 years? Especially if the PSC in question had been at the same client for a long time.
Comment