UUÂãÁÄÖ±²¥

This content is no longer in use on Tolley+ Guidance

Weekly tax highlights ― 10 March 2025

Produced by a Tolley Owner-Managed Businesses expert
Owner-Managed Businesses
Guidance

Weekly tax highlights ― 10 March 2025

Produced by a Tolley Owner-Managed Businesses expert
Owner-Managed Businesses
Guidance
imgtext

Direct taxes

Government to legislate umbrella company changes

Umbrella companies are to be defined in legislation, with regulation expected in due course. The Government also intends to address concerns around abuse by shifting responsibility for PAYE.

The Treasury has published the UK Government’s response to the consultation ‘Tackling non-compliance in the umbrella company market’ which ran across summer 2023, noting that ‘timely action in the umbrella company market is imperative to protect the most vulnerable workers’. Key points to note include:

  1. •

    the Government intends to legislate (via amendment to the Employment Rights Bill) to bring umbrella companies within the definition of employment businesses and to be subject to regulation accordingly (with further consultation expected)

  2. •

    where an umbrella company is used in a labour supply chain to engage a worker, the Government is to move responsibility to account for PAYE from the umbrella company that employs the worker to the recruitment agency that supplies the worker to the end client. Where there is no agency involved, responsibility will sit with the end client. These changes

This content is no longer in use on Tolley+™ Guidance

To view our latest tax guidance content,
sign in to Tolley+™ Guidance or register for a free trial.

Existing user? Sign-in TAKE A FREE TRIAL

Powered by
  • 10 Mar 2025 05:42

Popular Articles

Wholly and exclusively

Wholly and exclusivelyFor both income tax and corporation tax purposes, one of the fundamental conditions that must be satisfied for an item of expenditure to be deductible, is that it must incurred ‘wholly and exclusively’ for the purposes of the trade, profession or vocation. References to CTA

14 Jul 2020 14:00 | Produced by Tolley Read more Read more

Tax on UK resident beneficiaries of non-resident trusts ― overview

Tax on UK resident beneficiaries of non-resident trusts ― overviewIntroductionUK resident beneficiaries of non-resident trusts are subject to UK tax on payments or benefits received from the trust. They are liable for income tax on income distributions from the trust and they may also be liable to

14 Jul 2020 13:47 | Produced by Tolley Read more Read more

Qualifying charitable donations

Qualifying charitable donationsCompanies can obtain corporation tax relief for qualifying payments or certain transfers of assets to charity under the qualifying charitable donations regime. Definition of qualifying charitable donationThe definition of ‘qualifying charitable donations’

14 Jul 2020 13:03 | Produced by Tolley Read more Read more