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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: salaried partners

VATREG08700 | Entity to be registered: partnerships: salaried partners

From HM Revenue & Customs · VAT Registration

The question of whether a salaried partner is a full partner or simply an employee depends on the circumstances of the particular case. A salaried partner should be treated as an employee of the firm (and not included in the registration of the firm) if, despite being held out as a partner, we have information to show that he is paid either by a fixed salary or a share of the profits but is denied the rights and duties normally accorded to a full partner, that is to say, the obligation to contribute capital and to share losses and the right to fully participate in the management of the firm.

If a person, who is called a salaried partner, enjoys a share of the profits and an interest in the partnership capital, he should be treated as a full partner and included in the registration of the firm.

If notification on the VAT 1 and VAT 2 includes the name of a salaried partner, in the absence of any evidence to the contrary, you may accept that as evidence that the salaried partner is, in fact, a full partner on the basis that he is holding himself out as being a full or general partner (see VATREG08550 on Holding out).

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