EIM68205 - Tax treatment of Post Office employees: sub- postmasters: general
The remuneration of a sub-postmaster is in law taxable as
employment income. Where, however, a retail trade or business
giving rise to Trading Income is carried on from the same premises
as the sub-post office, the remuneration as sub-postmaster may in
practice be included with the trade receipts and accordingly
assessed as Trading Income. Where this is done, the Inspector
dealing with the Trading Income accounts should instruct the
processing office to issue code NT for the salary. The accounts
file should be noted accordingly to ensure that the salary is taxed
as part of the trade receipts. Where no trade is carried on, or the
trade is negligible, the remuneration as sub-postmaster should be
assessed as employment income.
Where a sub-postmaster also carrying on a trade requests the
statutory basis of assessment for both sources of income, the trade
profits should be assessed as Trading Income and the remuneration
as sub-postmaster as employment income. In such a case, the
expenses allowed in the Trading Income assessment on the trade
profits should exclude any expenses that relate to the
sub-postmaster's earnings assessable as employment income; any
necessary adjustments should, however, be made on broad lines.
Further guidance on the status of sub-postmasters is in the
Employment Status Manual (ESM).
Retail trade carried on by a company
Where a retail trade or business is carried on by a company from the same premises as a sub- post office, the Post Office salary is earnings of the sub-postmaster and not of the company. In practice, however, no objection should be raised to a request to treat the Post Office salary as income of the company provided that the sub-postmaster is required to, and does, hand over this remuneration to the company.
Treat for National Insurance purposes
The practice of treating the remuneration of a sub-postmaster as a trade receipt of an individual or a company applies for income tax purposes only. HMRC continues to require payment of Class I National Insurance contributions by the Post Office. The amount to be included in computing the trading profits is the gross remuneration before deduction of National Insurance contributions. National Insurance contributions are not an allowable deduction either from employment income or from the receipts of the trade.
