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Profession · IT Contractors · 2026/27

UK tax for IT contractors (IR35, 2026/27)

UK IT contractors operate under three distinct tax regimes: inside-IR35 (paid via deemed employment), outside-IR35 through a Personal Service Company (Ltd), or umbrella company PAYE. Choosing wrong can cost 15-25% of gross income annually. This guide covers how to assess your engagement, how each route is taxed, and the planning available within each.

5-minute read

Contractor tax in one paragraph: if your engagement is outside IR35, a Personal Service Company (Ltd) is usually the most tax-efficient route — director's salary + dividends + employer pension. If inside IR35, the public-sector or large-private-sector engager is responsible for assessing and the contractor is paid as a deemed employee — usually via umbrella. Most contractors in 2026/27 are inside-IR35 by default since the 2021 off-payroll reforms moved status determination to the engager. Negotiating outside-IR35 status remains possible but requires specific working practices.

The three tax regimes

RouteWho decides statusHow paidTax efficiency
Outside IR35 + Ltd CoYou (sole director)Salary + dividends + pensionHighest (typically 80-85% net of gross)
Inside IR35 + umbrella PAYEEngagerPAYE through umbrellaLowest (typically 60-65% net of gross)
Inside IR35 + Ltd Co (deemed employment)EngagerEngager deducts as if employed; you receive in Ltd as employment incomeSlightly better than umbrella due to potential expense claims
Sole trader / direct engagementYouSelf-employment, Self AssessmentRare for IT contracting — most clients prefer corporate engagement

Inside vs Outside IR35 — the actual test

IR35 distinguishes "disguised employment" (inside) from genuine business engagement (outside). The four main tests, from HMRC's CEST tool and case law:

  1. Personal service: can you send a substitute? Inside-IR35 if the contract requires you personally.
  2. Control: does the client direct how, when, and where you work? Inside if yes.
  3. Mutuality of obligation: is the client obliged to offer further work and you to accept it? Inside if there's an implicit ongoing relationship.
  4. Part and parcel of the organisation: are you essentially an integrated team member?

Other factors: financial risk (you bear it?), provision of equipment, intent of both parties, exclusivity, payment structure.

The CEST tool: gov.uk/CEST. HMRC says it gives the right answer in 85% of cases. Independent reviews suggest 70-75%.

Outside-IR35 Ltd Co — the optimal extraction

If you can engage outside IR35, a single-director Ltd company allows:

Worked example: £700/day contractor, ~220 working days/year = £154,000 gross. Outside-IR35:

Same engagement inside-IR35 via umbrella:

The difference: £36,000/year. Over a 5-year contract, £180,000 of extra after-tax value from outside-IR35 status — if it can be defended.

The 2021 off-payroll reform — what changed

From April 2021 (large + medium private sector) and earlier for public sector:

The reform pushed many engagers to blanket-determine all contractors inside-IR35 to avoid HMRC enforcement risk. Genuinely-outside contractors have had to argue their case more actively, sometimes negotiating specific contract wording or moving to consulting-firm-of-record arrangements.

Umbrella company mechanics

If working via umbrella (inside-IR35 or by client preference), expect:

Some umbrellas operate "salary sacrifice into pension" which can recover some efficiency for higher earners. Others operate "expenses" claims that HMRC has largely shut down post-2016.

Avoid: any umbrella promising you "85% take-home" — these are usually loan schemes or non-compliant structures that have led to massive HMRC settlements for users.

Allowable contractor expenses

Outside-IR35 (in your Ltd):

Inside-IR35: very few expenses are claimable from the deemed employment income. The 2016 "T&S" (travel and subsistence) restriction effectively ended most expense claims for contractors inside SDC (supervision, direction or control) of an end client.

Common contractor tax mistakes

Sources

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