HMRC appeals Lineker decision
Several months ago, Gary Lineker celebrated a win over HMRC regarding his tax affairs. However, that was unlikely to be the end of the story. What are the latest developments?
Perhaps unsurprisingly, following HMRC’s loss at the First-tier Tribunal (FTT), it isn’t giving up on its dispute with Gary Lineker (L). It has appealed against the decision made by the First-tier Tribunal in favour of Gary Lineker. The outcome of this case is important for any person considering providing their services through an intermediary where IR35 is in question. The tax involved is around £3.5 million but that’s the tip of the iceberg. Also at stake are fundamental issues regarding the efficacy of the IR35 rules. HMRC’s appeal to the Upper Tribunal was inevitable given that it stands to win even if it loses.
The crux of the dispute is whether the contract for L’s work was between himself alone or on behalf of the partnership with his former wife. If HMRC wins and there’s no appeal from L, it gets the money and may also confirm that the IR35 rules work as intended. Whereas, if it loses it has a case to demand the lost tax from the BBC and BT Sport (although time limits may prevent this) who agree the contracts with L. In case of a loss it’s also likely that the government will act quickly to rewrite the IR35 rules to prevent the loophole uncovered in the FTT. This case is important for both sides and it might yet go to a penalty shoot-out in the Court of Appeal or even the Supreme Court.
Related Topics
-
HMRC reminds employers to check tax codes at start of new tax year
HMRC is reminding employers to review PAYE coding notices as the 2026/27 tax year gets underway. With new tax codes now in operation, what should you be looking out for?
-
Salary v dividends in 2026/27
Dividend tax rates have increased by 2% for 2026/27. Add that on to the other recent tax hikes and it starts to look very expensive to run a company. Is the combination of a low salary topped up with dividends still tax efficient?
-
Practical guide: Incorporating a property business
An individual with a significant property portfolio is considering incorporating their business. What are the key considerations and are there any traps to avoid or tax planning opportunities?

This website uses both its own and third-party cookies to analyze our services and navigation on our website in order to improve its contents (analytical purposes: measure visits and sources of web traffic). The legal basis is the consent of the user, except in the case of basic cookies, which are essential to navigate this website.