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Contents

Official guidance
PAYE Manual

PAYE140000 · The PAYE discretion at s684(7A)(b) ITEPA 2003 and contractor loans avoidance schemes

  • PAYE140001 · Contents: definitions, introduction and scope of guidance
  • PAYE140005 · Contents: background
  • PAYE140010 · Contents: the categories of schemes where an officer of HMRC may consider using the PAYE discretion
  • PAYE140015 · Contents: Category 1
  • PAYE140020 · Contents: Category 2
  • PAYE140025 · Contents: Category 3
  • PAYE140030 · Contents: other factors that may be relevant to the exercise of the PAYE discretion, where the category-specific factors are present
  • PAYE140035 · Contents: recording your decision
  • PAYE140040 · Contents: group decisions
  • PAYE140045 · Contents: insufficient information about the scheme
  • PAYE140050 · Contents: where an officer has decided to exercise the PAYE discretion
  • PAYE140055 · Contents: the PAYE discretion and Regulation 80 determinations
  • PAYE140060 · Contents: how use of the PAYE discretion will work where there is a closed enquiry or an assessment has been issued and the decision is under appeal
  • PAYE140065 · Contents: finalising the tax
  1. The PAYE discretion at s684(7A)(b) ITEPA 2003 and contractor loans avoidance schemes: contents
  2. The PAYE discretion at s684(7A)(b) ITEPA 2003 and contractor loans avoidance schemes: contents: the PAYE discretion and Regulation 80 determinations

PAYE140055 | The PAYE discretion at s684(7A)(b) ITEPA 2003 and contractor loans avoidance schemes: contents: the PAYE discretion and Regulation 80 determinations

From HM Revenue & Customs · PAYE Manual

While HMRC regularly litigates on alternative bases, using the PAYE discretion and Regulation 80 determinations in relation to the same income may lead to uncertainty over who HMRC intends to recover tax from and uncertainty about how HMRC views compliance with the PAYE Regulations.

HMRC may wish to consider issuing Regulation 80 determinations in the alternative after a decision has been made to exercise the PAYE discretion, particularly when a case is expected to lead to litigation, where the End Client’s identity or the UK Agency’s identity is known or could easily be discovered, and if it is considered appropriate to protect the Exchequer in the event of a Court disagreeing with HMRC’s use of the PAYE discretion. This should be considered on a case-by-case basis. Details of the case should be referred to the Counter Avoidance Operational Policy team who will consider whether it is appropriate to issue a Regulation 80 determination.

HMRC may also wish to consider exercising the PAYE discretion in the alternative when a Regulation 80 determination has been issued, if it is considered appropriate to protect the Exchequer. This should be considered on a case-by-case basis. Details of the case should be referred to Counter Avoidance Operational Policy Team and a decision should be made about whether it is appropriate to exercise the PAYE discretion.

Officers should follow the normal guidance if they are considering issuing a Regulation 80 determination when the PAYE discretion is not in point.

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