Looking for peoples thoughts.
Contracted via LTD for 11 months with overseas client, who have UK legal entity. Contract was outside IR35 truly. The contract spanned the change in legislation where client had to determine status. For the first 6 months it was down to contractor (pre April 21) then second half by client (5months). During the time with client they classed the engagement as outside.
Engagement structure was my company - UK agent - overseas agent - client. My Company invoiced and was paid by UK agent.
Full contract worked at my company registered business address.
This month, contacted by end client who thinks they’ve made mistake in past and want to rectify. Has classed every one who was on this payment model at time as “inside IR35”. Has filled out P60 and is approaching HMRC to pay tax on behalf.
Keen to hear some thoughts on this, the original contract was a deliverable based one, was QDOS outside it35 approved, worked not on client premises, had all the right clauses etc.
My interpretation of the guidance on HMRC website in regards to CREST (see below) is that there must be a contract in place, I.e. active - but contract was terminated back in Q4 2021.
There must be a contract in place to see whether the engagement is classed as employment or self-employment. The tool assumes there is, or will be, a contract in place.
Am in the process of fighting this as the assessment has been conducted very poorly, and is full of inaccurate answers to the questions / understanding of the UK law.
Thoughts most welcome
regards
Contracted via LTD for 11 months with overseas client, who have UK legal entity. Contract was outside IR35 truly. The contract spanned the change in legislation where client had to determine status. For the first 6 months it was down to contractor (pre April 21) then second half by client (5months). During the time with client they classed the engagement as outside.
Engagement structure was my company - UK agent - overseas agent - client. My Company invoiced and was paid by UK agent.
Full contract worked at my company registered business address.
This month, contacted by end client who thinks they’ve made mistake in past and want to rectify. Has classed every one who was on this payment model at time as “inside IR35”. Has filled out P60 and is approaching HMRC to pay tax on behalf.
Keen to hear some thoughts on this, the original contract was a deliverable based one, was QDOS outside it35 approved, worked not on client premises, had all the right clauses etc.
My interpretation of the guidance on HMRC website in regards to CREST (see below) is that there must be a contract in place, I.e. active - but contract was terminated back in Q4 2021.
There must be a contract in place to see whether the engagement is classed as employment or self-employment. The tool assumes there is, or will be, a contract in place.
Am in the process of fighting this as the assessment has been conducted very poorly, and is full of inaccurate answers to the questions / understanding of the UK law.
Thoughts most welcome
regards
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