Your five-step guide to managing the proposed changes to IR35 Legislation.
This is a simple five step guide to getting ready for 6th April, assuming the changes come into effect on this date and there is no further delay.
Step 1. Don’t panic.
You have time before the 6 th April and HMRC will take a “soft-touch” approach for 6 months,providing you can demonstrate that you are working towards compliance.
There is lots of guidance on the HMRC website, and they also state that they will focus on your arrangements and compliance post April 21, rather than looking at historic arrangements. Also, bear in mind that IR35 legislation has been in place since 2000 – this change shifts the liability for establishing your supplier’s tax status from your supplier to you.
Step 2: Work out if the proposed changes will apply to your company.
Does your company have:
- Turnover in excess of £10.2M?
- A balance sheet of £5.1M per year?
- More than 50 employees?
If you answer “no” to two of more, the legislation will not apply. (There are rules around groups of companies and common ownership – best to check with HMRC to be sure.)
Step 3: Work out if the proposed changes will apply to your suppliers.
Are your suppliers actually PSCs (Personal Service Companies)? If they are not, the changes will not
apply… A PSC is defined as a Limited Company, which provides the services of an individual (or small group) and is owned by that individual. This is therefore likely to be professionals working for your business, but not anyone who is self-employed or sub-contractors providing labour or work on a price. However, it does apply to a PSC working for you via an agency or other intermediary.
Step 4: Engage with your suppliers and carry out a due diligence process.
Do not apply a “blanket ban” on PSCs. This is contrary to the HMRC guidance, and also deprives your organisation of cost efficient and valuable resource. There are hundreds of companies offering compliance solutions, some free and some paid for, but “buyer beware” as some of these will just be after your cash and their assurances are fundamentally
flawed. We would suggest initially liaising with your suppliers, and working out if they are inside or outside IR35 – does the legislation apply or not? There is a tool on the HMRC website (CEST) which is a good place to start, but fundamentally you are asking if the supplier “looks like” an employee, or treated like one, and therefore payments should be subject to NI and Tax.
Factors to consider:
Do they hold insurances?
Are they subject to Supervision, Direction Or Control?
Do they provide a personal service?
Could they send someone else to carry out the works
Once you have done this, you are required to issue a “Status Determination Statement” (SDS) to the PSC (or to the Agency) to state whether they are “inside” or “outside” IR35, and therefore whether Tax and NI will be deducted from payments made.
Step 5: Evaluate the risk to your company and take steps to mitigate the risk.
To be clear, there is only a financial risk to your company if:
HMRC carry out an IR35 inspection, AND, You have done no due diligence on your suppliers, AND HMRC establish that your supplier is “inside” IR35, AND HMRC can prove there is a tax loss…Therefore, if you have carried out due diligence, kept evidence and engaged with your suppliers, the risk to your company, although present, is very small. There are also options to migrate any PSCs who are “inside” IR35 to other engagement methods, including PAYE or Self-Employment, providing the required processes are followed.
That’s it. We hope this is useful and helpful.
We’re sharing these suggestions on LinkedIn to help everyone make plans – it’s important to us that there is as little disruption as possible to the economy, your work programmes and contractors’ incomes as we all try to recover from the Pandemic.
We will be in contact with all of our clients and suppliers in the coming weeks to make sure they are prepared and compliant in advance of the proposed changes. We will be issuing templates and agreements to assist with due diligence and compliance for PSCs supplied via ourselves, as well as those engaged directly by clients. In the meantime, please contact us for advice or assistance.