Originally posted by WordIsBond
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But to explore this point further, let's consider a case where the PSC contracts directly with the client rather than through an agency. Would identical IR35 treatment be warranted in such cases?
For cases where a PSC contracts through an agency acting as an intermediary, HMRC effectively ignore the agency and their fees for the purpose of IR35 assessment. So the agency involvement is a red herring in this scenario.
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