In Direct Personnel Midlands Limited v HMRC [2019], the First Tier Tribunal decided that a recruiter did not automatically take over an employment agency’s PAYE liabilities when it paid the agency’s staff directly. The payments made also offset the agency’s charges for VAT.

The FTT found:

HMRC had treated Newbain as the employer originally. There were no changes to any employment contracts when MAP took over and all the workers remained its employees. Newbain and MAP must have continued to be the employer. It concluded that:

“[19] In the instant case, where Oriel makes a payment, it does so, as Mr Walters accepted, as an intermediary on behalf of the labour provider. The payment, therefore, is to be treated, for the purposes of PAYE, as a payment of income by the labour provider, but the labour provider is not required to deduct tax and account for it by virtue of the operation of s.710, which I need not read into the judgment and the operation of s.687(2). The payment by Oriel, the intermediary, discharges the liability of the labour provider, but it is important to note that s.687 does not expand the definition of employer on whom the liability to deduct tax is placed; it merely enables machinery for an intermediary such as Oriel to discharge the liability of the labour provider.”

The effect of this finding is that DPM is not liable for PAYE as it was not the workers’ employer.

In terms of VAT:

Comment

Useful guides

PAYE Regulation 80 & NICs determinations
When can HMRC assess an employer or an employee for unpaid PAYE and NICs? Who is assessed and what are the conditions?

VAT Toolkit
Our take on HMRC's VAT Toolkit comes with lots more tips.

What constitutes a valid VAT invoice?
What is a valid VAT invoice? Can you claim back VAT if the invoice is in someone else's name?

VAT: Place Of Supply of services
The Place Of Supply (POS) of a service determines whether the supply is within the scope of UK VAT and whether VAT is payable on that supply.

External links

Direct Personnel Midlands Limited v HMRC [2019] TC/2017/08975 TC/2018/04954 TC/2019/01125