In Big Bad Wolff Limited v HMRC [2017] TC06143, the First Tier Tribunal (FTT) considered the interaction of IR35 and the special rules for actors prior to 6 April 2014.

The appellant (Wolff) was the personal service company of Robert Glenister (RG), but it was noted that this was a test case for a number of other actors in similar circumstances.

On 3 February 2016, HMRC raised an assessment for Class 1 NIC covering the period from 6 April 2004 to 5 April 2014.

It was common ground that

The FTT found that

Links

Big Bad Wolff Limited v HMRC [2017] UKFTT 729 (TC)

Entertainers to be self employed for NICS

NIC: New guidance for entertainers

IR35