Despite some attention-grabbing headlines to the contrary, Bryan Robson did not “win” the majority of his IR35 case. Rather, the majority of the years assessed by HMRC were outside of the remit of ...
The case in question, Appiah v Tripod Partners and the Home Office, was heard in November 2024, and Tripod Partners was ...
N.B. This K&K Ltd is never named in the judgment, but it was Appiah’s “PSC” when she was contracting via Tripod Partners for the Home Office. The company’s full name was KIA & KHY Ltd. It’s now ...
His personal services company, known as Bryan Robson Limited, issued an appeal to the ... that his tax bill belonged inside the scope of the IR35 legislation. IR35 refers to legislation designed ...
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