Font Size

One supply or two - An Educational Case


The VAT People - Expert Author

Tax Articles
Submit Articles   Back to Articles

7th March 2014

The VAT treatment of supplies of education are very complex and business and HMRC often make errors in deciding how transactions should be treated for VAT purposes. The treatment of composite supplies with one overall VAT rate compared to mixed supplies with a different rate is equally complex. In addition the rules relating to disaggregation can also be a minefield for business if they appear to have separated in HMRC’s mind to gain a VAT advantage. Add all these elements together and the result can be an attack from HMRC as shown in the recent case for Kumon Educational UK Co Ltd (KE) & Kumon Book Services (UK) Ltd (KB).

KE made supplies of licences for instructors to use its teaching method and provided worksheets for students in return for a single royalty payment per student and accounted for VAT until 2005. After this date it changed how it operated with KE granting a licence to use its teaching methods which it treated as standard rate for VAT and its subsidiary KB supplied worksheets to instructors for a separate fee that it treated as zero rate for VAT provided education via a network of self-employed instructors. Until 1 November 2005 it granted a licence to instructors to exploit its teaching method and provided worksheets for the students in return for a single inclusive royalty payment per student. This was treated as a single supply of services. The total amount paid by instructors remained the same as when they paid KE for its single supply of the licence fee and worksheets.

This was attacked by HMRC who took the view that the supply had been artificially separated and that in fact a single supply had occurred plus standard rate VAT and assessed for VAT on the consideration paid by teachers to KB and alternative assessments to KBS on the consideration it received from the instructors. Unsurprisingly KE and KBS appealed against the assessment. The tribunal rejected HMRC’s view and found that KBS was making a supply of zero rate worksheets that should not be treated as part of KE’s single supply of the right to use its teaching method.

If you or your clients are involved with businesses making supplies of education services, supplies with a mixture of goods and services or where activities are being under taken in more than one business it can be worth calling our free VAT helpline for an initial discussion to ensure that there are no inadvertent VAT consequences to the arrangements.

About the Author

The VAT People are leading VAT and Customs Duty consultants based in the North West of England. We work with a wide range of businesses throughout the UK as well as assisting our accountancy colleagues to unravel the thorny VAT issues for their clients. We are one of the UK's largest and most comprehensive sources of VAT and Customs advice, our consultancy team having over 140 years of experience in VAT and Customs gained in either HMRC or a Big 4 accountancy practice environment.

Call us on our VAT helpline 0800 077 4604 to discuss. All initial discussions are free with no-obligation.

Follow us @Scopulus_News

Article Published/Sorted/Amended on Scopulus 2014-03-10 14:08:50 in Tax Articles

All Articles

Copyright © 2004-2021 Scopulus Limited. All rights reserved.