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Contents

Official guidance
Partnership Manual

PM261000 · Global structures

  • PM261100 · Overview
  • PM261200 · Overseas members
  • PM261300 · Working for the UK LLP
  • PM261400 · Income from other firms
  • PM261500 · Profits from the UK LLP
  • PM261600 · Capital of the LLP
  • PM261700 · Condition A: global profits
  • PM261800 · Cost plus basis
  • PM261900 · Significant influence
  1. Global structures: contents
  2. Working for the UK LLP

PM261300 | Working for the UK LLP

From HM Revenue & Customs · Partnership Manual

To be a Salaried Member, the individual has to be working for the UK LLP, see PM253000.

Example 1

This example illustrates a profit share paid to a UK partner by an overseas firm.

ABC LLP is associated with a US partnership ABCUS LLP (formed under the law of Delaware). A B and C are members of ABC LLP and so is ABC US LLP.

A B and C are members of ABC US LLP which also has a further 10 members.

All profits of ABC LLP are paid to ABC US LLP and shared by its members along with the other profits of the firm. A B and C receive a share of the global profits.

A B and C are not Salaried Members as they do not have any income in their capacity of members of ABC LLP. However, ABC LLP is a mixed membership partnership and the mixed membership partnership rules (new sections 850C to 850E) need to be considered.

Example 2

The AA LLP in the UK is linked to AA GP in Australia. A number of people, including C, are members of both firms.

C is based in Australia. C works full time as a member of AA GP, she does not do any work directly for AA LLP as a member of AA LLP.

Normally C receives all her reward from AA GP but under the arrangements between the parties she will receives a profit share from AA LLP where AA GP makes insufficient profits.

In this case, C does not receive her profit share for working for AA LLP; hence she is not a Salaried Member as she does not receive a sum for working for the UK LLP.

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