HMRC has updated its Disguised remuneration settlement terms 2020 for tax agents or advisers guidance to confirm that a charge under ITEPA 2003 s 222 can arise on the loan charge when all of the following apply:
The guidance also notes that HMRC will not collect any s 222 charge on loan charge income if all the following conditions are met:
HMRC has updated its Disguised remuneration settlement terms 2020 for tax agents or advisers guidance to confirm that a charge under ITEPA 2003 s 222 can arise on the loan charge when all of the following apply:
The guidance also notes that HMRC will not collect any s 222 charge on loan charge income if all the following conditions are met: