In Red, White and Green Limited v HMRC [2020] TC7603, the First Tier Tribunal (FTT) held that income received by Eamonn Holmes’ Personal Service Company was within IR35. If he had provided services directly to ITV it would have been a contract of employment.

The employment intermediary rules, known as IR35 impose employment taxes on a Personal Service Company (PSC):

Eamonn Holmes (EH) was contracted by ITV to present the Good Morning show through his PSC, Red, White and Green Limited (RWG).

HMRC disagreed and issued determinations and notices for Income Tax and NICs under PAYE for the periods 2011/12 to 2014/15 on the basis that IR35 applied. RWG appealed.

The FTT agreed with HMRC, finding that overall the relationship between ITV and EH was one of employment, not self-employment:

The judge acknowledged that it is difficult for ITV to control a presenter during a live television broadcast meaning EH had a high level of autonomy but said this did not mean that the control test could not be met overall. Added to this, there were no strong self-employment indicators even though EH did have self-employed relationships with other clients.

Comment

This is a lengthy decision which for some reason took nearly two years to be released. It is possible that Mr Holmes may decide to appeal the decision.

Links to our guides

Personal Service Company (PSC) tax
HM Revenue & Customs (HMRC) define a service company as a company that generates the majority of its income from supplying services rather than goods to clients.

IR35: Off-payroll working (subscriber)
The IR35 tax rules apply when a worker supplies his personal services through an intermediary trading vehicle such as a company or partnership to an end client. 

External link

Red, White and Green Limited v HMRC [2020] TC7603