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The labour hire service provided by a labour hire firm (the firm) to the end consumer (the user) of the firm's service is a taxable supply.
The firm is a labour market intermediary. Typically, the firm enters into a contract with a worker who agrees to provide labour. The firm also contracts to supply a service of a worker's labour to the user of the service.
The firm, with respect to the worker: • advertises, screens, and selects; • coordinates appointments with the user of the service; • pays salary and other costs; • withholds Pay As You Go (PAYG) withholding amounts and sends those amounts to the Australian Taxation Office (ATO); and • is the party to whom the user seeks a remedy if the worker does not perform as required.
The firm, with respect to the user: • is the party to whom the worker is contracted [F1] ; • is the party with whom the user contracts; and • invoices the user for the time the worker is appointed. The service fee is based on the wages and related costs of the worker borne by the firm.
Under section 9-5 of the A New Tax System ( Goods and Services Tax ) Act 1999 ('GST Act') an entity makes a taxable supply if: • the entity makes the supply for consideration; • the supply is made in the course or furtherance of an enterprise the entity carries on; • the supply is connected with Australia; and • the entity is registered, or required to be registered.
The service provided by the firm to the user is a taxable supply where the conditions of section 9-5 are satisfied: • a supply of services is made by the firm to the user; • consideration is given by the user for the supply; • the supply is made in the course of the firm's enterprise; • the supply is connected with Australia; and • the firm is registered, or required to be registered.
Pursuant to subsection 7-1(1) of the GST Act, GST is payable on the taxable supply between the firm and the user.
Pursuant to subsection 9-20(2) of the GST Act, the definition of 'enterprise' does not include activities done by an employee or in connection with earning certain withholding payments. Withholding payments covered include a payment subject to withholding under section 12-60 of Schedule 1, Part 2-5 of the Taxation Administration Act 1953 - that is, a payment under a labour hire arrangement. A payment received by an individual under a labour hire arrangement as specified in section 12-60 does not satisfy the requirements of a taxable supply and is not subject to GST.
Under a labour hire arrangement the entity paying the worker is the firm and the payments to the workers will be subject to withholding under the PAYG withholding system.
Staffprovider Ltd is registered for GST purposes , and keeps a database of skilled persons who are willing for their services to be provided to third parties . Staffprovider arranges with Corporate Pty Ltd , which is registered for GST purposes , to provide to it the services of a computer programmer in return for payment of $ 2 , 200 per month . Staffprovider arranges with Jane for her to do computer programming , for $ 1 , 001 per month for Corporate . Staffprovider must withhold PAYG amounts of $ 87 per month from payments it makes to Jane under the arrangement with her . GST of $ 200 is payable by Staffprovider on the monthly service fee of $ 2 , 200 , ( which is calculated in relation to wages and other costs ) charged for the service provided to Corporate .
Alternatively, the firm may contract with the user to provide a placement service only. In such a case, the firm provides the service of introducing suitably qualified personnel to the user. The user then contracts directly with the placed worker for their labour. Provided the conditions set out in paragraph 6 above are satisfied, GST is payable by the firm on the service fee charged to the user.
Where the firm is only providing a placement service and the placed worker contracts directly with the user, the user will be paying the worker. These payments may be subject to withholding under the PAYG withholding system depending upon the contractual arrangements that have been entered into. Refer to PAYG Bulletin Number 3 - PAYG Withholding and Labour Hire Firms.
Staffprovider Ltd is registered for GST purposes , and provides a placement and tendering service for third parties . Corporate Pty Ltd which is registered for GST purposes , contracts with Staffprovider for Staffprovider to place an additional staff member for its finance division . Staffprovider conducts a selection process and puts forward Diane as the most meritorious applicant . Corporate agrees and employs Diane under a contract of service ( i . e ., as an employee ). GST of $ 300 is payable by Staffprovider on the placement fee of $ 3 , 300 charged for the service provided to Corporate .
Where the firm recruits an independent contractor for the user, the independent contractor, if registered or required to be registered, will be required to pay the GST on the taxable supply to the user.
Staffprovider Ltd is registered for GST purposes , and provides a placement and tendering service for third parties . Corporate Pty Ltd which is registered for GST purposes , contracts with Staffprovider for Staffprovider to conduct a tendering process for an independent contractor to build a new factory on Corporate's premises . Staffprovider conducts a tender process and puts forward Linda's Building Services as the most competitive tenderer . Corporate agrees and enters a contract for service with Linda's Building Services , which is registered for GST purposes . GST of $ 200 is payable by Staffprovider on the tendering fee of $ 2 , 200 charged to Corporate . GST of $ 500 is also payable by Linda's Building Services on the fee for services of $ 5 , 500 charged for the service provided to Corporate .
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