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Official guidance
VAT Registration

VATREG08250 · Entity to be registered: partnerships

  • VATREG08280 · Introduction
  • VATREG08300 · Definition
  • VATREG08350 · Law
  • VATREG08400 · Legal status of partnerships (except in Scotland)
  • VATREG08450 · Evidence of partnership
  • VATREG08500 · ‘No partnership’ clauses
  • VATREG08550 · Holding out
  • VATREG08600 · Composition of a partnership
  • VATREG08650 · Liability of partners in England and Wales
  • VATREG08700 · Salaried partners
  • VATREG08750 · Registration of partnerships
  • VATREG08800 · Registration of partnerships in the name of the firm
  • VATREG08850 · Completion of a VAT 1
  • VATREG08900 · Completion of a VAT 2
  • VATREG08950 · Signatory to the VAT 1 and VAT 2
  • VATREG09000 · Changes in the composition of the partnership
  • VATREG09050 · Partnerships in Scotland
  • VATREG09100 · Registration of trusts as partnerships
  • VATREG09150 · Retrospective applications to register co-owners
  • VATREG09300 · Definition of a limited partnership
  • VATREG09350 · Registration of limited partnerships
  • VATREG09400 · Joint ownership of land - effect on limited partnerships
  • VATREG09420 · Scottish limited partnerships
  • VATREG09450 · Overseas limited partnerships
  • VATREG09600 · Limited Liability Partnerships (LLPs)
  • VATREG09700 · Completion of the VAT 2
  1. Entity to be registered: partnerships: contents
  2. Entity to be registered: partnerships: holding out

VATREG08550 | Entity to be registered: partnerships: holding out

From HM Revenue & Customs · VAT Registration

The concept of ‘holding out’ is provided for in the Partnership Act 1890, section 14 in the following terms. It is the practice of leading, or allowing, others to believe that you are something which you are not. If, as a result of such actions, a person is ‘given credit’ by others, then that person is liable as if he had, in fact, been what he said, or had allowed others to believe, that he was. Thus a person who leads, or allows, others to believe that he is a partner in a firm, and is ‘given credit’ by others on the basis of his actions, will be liable for the debts and obligations of the partnership as if he had, in fact, been a partner in the firm.

Whilst the expression ‘given credit’ is not defined, it should not be construed in a technical or restrictive sense, but as describing any transaction with the firm.

Consequently, where two or more people notify for VAT registration submitting a completed VAT 2 together with the VAT 1, or even simply entering their entity on the VAT 1 as a partnership, they can effectively be said to be ‘holding out’ as a partnership.

Similarly, where two or more persons are holding themselves out to other traders and third parties as a partnership, we should treat them as if they were a genuine partnership as well. This is so that the Department is not put at a disadvantage in its relationship with that business as against third parties.

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