HMRC declares tax planning option for landlords ineffective
HMRC has issued a warning that the use of a limited liability partnership (LLP) with a corporate member to reduce taxes is an ineffective avoidance scheme. What are the details, and what should you do if you’re using one?
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HMRC clarifies treatment of averaging relief under MTD IT
HMRC has updated its guidance to explain how averaging relief claims will operate under Making Tax Digital for Income Tax (MTD IT). The clarification addresses concerns about how farmers and creators will claim relief once quarterly reporting becomes mandatory. What has changed?
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Double up on the employment allowance
You’re the sole shareholder of a limited company which employs several members of staff. You’re working on plans to start another business with an ex-colleague. Can both businesses benefit from the full employment allowance (EA)?
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VAT cut for children's holiday activities over summer
The government has announced a temporary reduction in the rate of VAT applying to certain children's holiday activity programmes during the summer holidays. The measure is intended to help families with childcare costs during the school break. What has changed?
HMRC is aware of a tax avoidance scheme being marketed as a tax planning option for property landlords. This scheme is sometimes referred to as a hybrid business model and claims to bypass mortgage interest relief restrictions, reduce the tax payable on profits and reduce capital gains tax and inheritance tax. The scheme involves setting up an LLP, of which the individual landlords are members, and a company, which is also a member of the LLP. The members then agree to allocate profits in such a way that the individuals are basic rate taxpayers, thereby being unaffected by the mortgage interest restrictions, and the company is allocated the balance which in theory is taxed at corporation tax rates.
However, HMRC has confirmed that such arrangements do not work as the tax advantages fall foul of several pieces of legislation; the most obvious one being the mixed member partnership legislation, which reallocates excess profits of a corporate member back to the individual. If you’re using this or similar schemes or arrangements, HMRC strongly advises you to withdraw from it and settle your tax affairs. You can contact HMRC to do so, or seek professional tax advice.
Further information on the scheme and how to contact HMRC can be found here.





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