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Contents

Official guidance
Employment Status Manual

ESM3500 · Managed Service Companies (MSC)

  • ESM3505 · Introduction and background
  • ESM3510 · Meaning of an MSC
  • ESM3515 · MSC Providers
  • ESM3520 · MSC Provider involved with the company
  • ESM3525 · Meaning of Associate
  • ESM3530 · Worker treated as receiving Earnings from Employment
  • ESM3535 · Calculating the Deemed Employment Payment (DEP)
  • ESM3540 · How to calculate the deemed payment: step by step guide
  • ESM3545 · Calculating the Employer’s Class 1 NICs
  • ESM3550 · Step by Step Guide for working out the DEP and Employer’s Class 1 NICs
  • ESM3555 · Deduction for Deemed Employment Payment (DEP) - IT Trading and Other Income and Corporation Tax
  • ESM3560 · Application of the Income Tax and NICs rules: The Deemed Employment Payment (DEP)
  • ESM3565 · Application of the tax rules - MSC Offshore
  • ESM3570 · Application of the tax rules: travel expenses
  • ESM3575 · Application of the NICs rules - partnership annual earnings periods
  • ESM3580 · Avoidance of Double Taxation
  • ESM3585 · Claims for relief in respect of dividends
  • ESM3590 · VAT
  • ESM3595 · Offshore MSCs
  • ESM3600 · Workers paid through an MSC
  • ESM3605 · MSC Legislation and IR35
  • ESM3610 · MSC Legislation and Employment Businesses and Agencies
  • ESM3615 · MSC Transfer of Debt Provisions - Legislation
  • ESM3620 · The MSC Debt
  • ESM3625 · Transferring the Debt
  • ESM3630 · Roles and Responsibilities
  • ESM3635 · The Process
  • ESM3640 · Appeals
  • ESM3645 · Nature of the Debt following the issue of a Transfer Notice
  • ESM3655 · Appendix A: Transfer of Income Tax (PAYE) and Class 1 National Insurance Contributions of Managed Service Companies
  • ESM3660 · Appendix B: Transfer of Income Tax (PAYE) and Class 1 National Insurance Contributions (NICs) of Managed Service Companies
  • ESM3665 · Appendix C: Transfer of Income Tax (PAYE) and Class 1 National Insurance Contributions of Managed Service Companies
  • ESM3670 · Appendix C Supplement: Transfer of Income Tax (PAYE) and Class 1 National Insurance Contributions of Managed Service Companies
  • ESM3675 · Appendix D: Wording of a Formal Section 8 Decision where the MSC Legislation Applies
  • ESM3680 · Appendix E: Flow Chart: Transfer of Income Tax (PAYE) and Class 1 National Insurance contributions (NICs) of Managed Service Companies
  1. Managed Service Companies (MSC): contents
  2. Managed Service Companies (MSC): MSC Legislation and Employment Businesses and Agencies

ESM3610 | Managed Service Companies (MSC): MSC Legislation and Employment Businesses and Agencies

From HM Revenue & Customs · Employment Status Manual

HMRC recognises that Employment Agencies and Employment Businesses may be concerned that their core business of placing work seekers with end clients may bring them within the scope of the legislation.

Neither Chapter 9 ITEPA 2003 nor section 688A ITEPA 2003 catch Employment Businesses or Employment Agencies carrying on their core business. There are specific exclusions in both sets of legislation for such businesses.

Nor will the legislation be applied to Employment Businesses or Employment Agencies which undertake services which are merely ancillary to the core business.

However, if an Employment Business or Employment Agency:

  • Demonstrably carries on a business of providing structures (companies or partnerships) through which workers provide their services, and provides services to those companies/partnerships to the extent that they would be considered to be “involved” as described in section 61B(2), then that Business/Agency would be an MSC Provider; or

  • Demonstrably acts in concert with a person who is an MSC Provider for the purposes of securing that an individual’s services are provided by a company, then that Business/Agency would be an associate of an MSC (but see preferred supplier list question below); or

  • Demonstrably encourages an individual to operate through an MSC and/or beyond the mere placing of the worker’s company with end clients and functions directly linked to such placing, or is otherwise actively involved in the MSC’s provision of the worker’s services, then that Business/Agency would potentially render itself liable for the transfer of any PAYE/NICs debt of the MSC.

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