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IR35 Group Companies

Something doesn't add up

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I have spoken to HMRC who say that when deciding IR35 status company ownership is irrelevent, the HMRC IR35 tool says if he/she is a director of the trading company it comes under IR35.

So if you have a director of a parent, and they work and charge a sub which they are also a director of it will automatically fall under IR35.

There must be something wrong here as it happens all the time.

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