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RCI Europe Ltd v Kate Woods (HM Inspector of Taxes): ChD 16 Dec 2003

The company made payments to a former director in return for a severance agreement which restricted his future business activities. Held: Despite the fact that all payments were made only after his employment had been terminated, they remained subject to payment of National Insurance contributions. ‘the required connection to trigger application of TA section 313 … Continue reading RCI Europe Ltd v Kate Woods (HM Inspector of Taxes): ChD 16 Dec 2003