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Calculate your annual and monthly take home pay from a contract outside IR35 This calculator can be used to help you determine your annual and monthly net income from a contract that is outside IR35.
The Chancellor has today committed to repealing the Off-payroll legislation, which were supposed to reform IR35, but instead held businesses back. The IR35 Reforms, which rolled into the public and ...
HMRC has defeated a BBC presenter in the first IR35 ruling in seven years. Find out the main determining factors and key lessons for contractors.
In the fourth IR35 appeal by Atholl House Productions Limited involving broadcaster Kaye Adams, HMRC has failed again to prove Ms Adams was caught by IR35.
After four hearings and 10 years of torment for Kaye Adams, HMRC has finally given up after wrongly issuing Kaye Adams with a tax bill under the IR35 legislation. Despite fielding three barristers in ...
Contractors deemed ‘inside IR35’ under the Off-Payroll legislation could succeed with an employment rights claim, says tax barrister Alexander Wilson.
Limited company contractors could be adversely affected by new measures taken by HMRC to tackle money boxing, warns James Abbott of Abbott Moore.
The April 2021 introduction of the Off-Payroll legislation to the private sector will see many hirers become responsible for determining the IR35 status of their contractors. As a result, many ...
Boris Johnson announced in the House of Commons on Wednesday 4th September 2019 at 12:45pm that there would be a review into the Loan Charge.
If you are caught by IR35 and continue to use your limited company as your trading option and payment structure, you need to take into account the HMRC 5% expense allowance rule. However, from April ...
Contractors working ‘inside IR35’ under the Off-Payroll rules should expect to receive a Key Information Document (KID) from their agency at the beginning of each new contract. A new initiative ...
RALC Consulting IR35 case - An IT consultant and his small defence team have defeated HMRC and an “army of lawyers’ in an IR35 tribunal case which hinged largely on mutuality of obligation.