Organised by IPSE
Working out when IR35 does and doesn’t apply to an engagement is notoriously complex. HMRC will have it’s view; taxpayers and independent experts may disagree. Those disagreements lead to disputes and those disputes need to be settled – sometimes by a tribunal.
In this webinar IPSE’s Andy Chamberlain will be joined by IR35 expert Dave Chaplin, CEO of IR35 Shield, to take a deep dive into some recent, and some not so recent, IR35 judgements to find out what they tell us about the case law – which is all that really matters when it comes to determining status.
The webinar will cover:
- Case law and why it is central to understanding IR35 status
- Ready Mix Concrete – the seminal case
- Building the ‘hypothetical contract’
- The referees case and why it’s important
- A close look at handful of other recent cases – what do they tell us about HMRC’s view of IR35 status?
As always there will be plenty of opportunity to ask questions during the webinar but please do send them in advance as well to policyqueries@ipse.co.uk. Please put ‘Question for the webinar’ in the subject line.