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Umbrella Self-Assessment PAYE Audit
Important Information
This Umbrella PAYE Self-Audit is designed to help umbrella companies evidence compliance with HMRC’s Labour Supply Chain Assurance standards.
It covers key risk areas including PAYE operation, tax deduction accuracy, employment rights, and obligations under the Criminal Finances Act 2017, the Modern Slavery Act 2015, and off-payroll legislation.
It also supports 2026 Joint & Several Liability (JSL) readiness, and identifies exposure to hybrid pay models or purported umbrella structures that may disguise employment or avoid tax obligations.
If supported by documentation, this self-assessment can demonstrate:
- That PAYE is operated lawfully and transparently
- That reasonable procedures are in place under CFA 2017
- That employment rights, payroll deductions, and employer responsibilities are properly fulfilled.
Evidence Expectations
Self-certification must reflect real practice. HMRC or agencies may request payslips, BACs evidence, contracts, and audit logs.
In an HMRC audit, superficial responses will not meet compliance standards. HMRC may request contracts, remittances, audit logs, and onboarding evidence. Unsupported answers or box-ticking will not meet compliance expectations.
By using the form, you acknowledge acceptance of OPRaaS LTD’s data handling policies and terms and conditions of use.
User and Company Details
Please enter the company details for the entity you are auditing. If you are performing a Self-Assessment, please insert your own company details here.
Section 1 – Corporate Legitimacy & Structure
This section confirms that the umbrella company is legally established, correctly registered, and operationally transparent.
HMRC and agency clients expect robust due diligence on legal status, PAYE registration, VAT compliance, and corporate branding.
Section 2 – Director Integrity & Group Transparency
This section assesses the credibility and transparency of the individuals controlling the umbrella company and its connected entities.
It helps uncover hidden risks such as disqualified directors, repeated insolvencies, or directors involved in non-compliant umbrella schemes.
Section 3 – Financial Operations & Worker Pay Protection
Demonstrates tax flow integrity, segregation of worker funds, and red flags such as offshore risk or frozen accounts.
Meets standards in CFA 2017 and HMRC guidance.
Section 4 – PAYE Operations, RTI & Payroll Integrity
Demonstrates the correct handling of PAYE, RTI and all employment tax elements.
Core to HMRC’s Labour Supply Chain assurance.
Section 5 – Pension & Salary Sacrifice Compliance
Ensures transparency around auto-enrolment pensions and salary sacrifice schemes, especially in relation to Employer NICs and take-home pay.
This is a growing area of HMRC and BEIS scrutiny due to concerns over disguised deductions and mis-selling.
Section 6 – Expenses, Subsistence & Reimbursement
This section ensures the umbrella’s expense and travel policies comply with ITEPA and HMRC rules.
It helps prevent disguised remuneration, protects against abuse of tax relief, and supports transparency for workers.
Section 7 – Worker Rights & Consent
This section ensures the umbrella is meeting obligations under the Agency Workers Regulations (AWR) 2010, Working Time Regulations (WTR) 1998, and the Employment Rights Act 1996.
It verifies transparency in deductions, correct handling of holiday pay, and parity of rights after 12 weeks.
Section 8 – Dispute, Complaint Handling & Record-Keeping
This section ensures the umbrella has robust grievance handling procedures, supports early resolution of disputes, and complies with employment tribunal protocols.
It also demonstrates the umbrella’s commitment to root-cause analysis, proper record-keeping, and transparency – all key to audit readiness and good governance.
Section 9 – Tax Risk & VAT Assurance (IR35, Disguised Remuneration, Reverse Charge, Input VAT)
This section addresses HMRC’s core tax enforcement risks. It ensures the umbrella avoids high-risk tax schemes, applies the correct VAT treatment (especially under CIS via Domestic Reverse Charge), and maintains appropriate controls for both output and input VAT.
This supports off-payroll IR35 compliance, identifies disguised remuneration risks, and aligns with expectations under the Kittel Principle to prevent VAT fraud.
Section 10 – Hybrid Pay Models (PAYE/CIS/PSC Mixes)
This section helps umbrella companies assess whether their own hybrid models (e.g., PAYE/CIS, PAYE/PSC) may risk breaching employment status laws, facilitating disguised remuneration, or triggering Joint & Several Liability (JSL) under the 2026 reforms.
It ensures transparency in worker classification, defends against HMRC scrutiny, and satisfies obligations under the Criminal Finances Act 2017.
Section 11 – Criminal Finances Act 2017 (CFA) Compliance
This section confirms that the umbrella has taken reasonable steps to prevent the facilitation of tax evasion as required by Section 45 of the CFA 2017.
It also evidences that a proper risk environment and response plan is in place.
Section 12 – Modern Slavery
This section ensures the umbrella company meets its legal and ethical obligations under the Modern Slavery Act 2015, Criminal Finances Act 2017, and relevant GLAA standards.
Umbrella companies can play a direct or indirect role in exploitation—particularly where subcontracting chains, shared housing, bank accounts, or debt bondage practices exist.
Section 13 – Mini Umbrella Company (MUC) Fraud Controls
Mini umbrella fraud is a priority risk for HMRC.
This section ensures the umbrella does not operate or facilitate fragmentation to exploit VAT or Employment Allowance.
Section 14 – Identity, Right-to-Work & GDPR (incl. Article 30 RoPA & Processor Mapping)
This section ensures compliance with the Immigration (Restrictions on Employment) Order 2007 and UK GDPR.
It verifies that worker identity is checked correctly, employment is legal, and personal data is handled lawfully and transparently.
Section 15 – Insurance & Financial Resilience
This section ensures the umbrella company has adequate insurance protection (Employers’ Liability, Public Liability, Professional Indemnity, D&O) and demonstrates financial resilience through reserves, solvency, and stress testing.
It reassures agencies and HMRC that the umbrella can meet its obligations to workers, cover statutory liabilities, and manage risks without collapsing
Section 16 – Cybersecurity & Payroll System Resilience
This section ensures the umbrella company has strong cybersecurity and payroll system controls in place to protect sensitive worker and client data, prevent payroll fraud, and guarantee business continuity. With HMRC submissions, BACs files, and RTW/ID records all processed digitally, robust IT governance is critical to compliance.
Demonstrating resilience against cyber-attacks, system outages, and data loss is now a core expectation for agencies and regulators.
Section 17 – Employment Intermediary Reporting Compliance (EIRR)
Compliance with quarterly reporting of all non-direct PAYE workers is a legal requirement under ITEPA 2014.
This ensures transparency and prevents disguised remuneration.
Section 18 – 2026 Joint & Several Liability (JSL) Readiness
This section assesses how well the umbrella company is prepared for the 2026 legislative changes introducing Joint & Several Liability (JSL). It confirms that internal processes, contracts, governance, and stakeholder awareness are in place to avoid liability transfer from agencies or clients.
HMRC will expect defensible controls against disguised employment, mini umbrella misuse, outsourcing chains, and tax irregularities.
Section 19 – Final Declaration and Signoff
This section formalises the audit submission. It evidences audit readiness, authorisation to sign, and intention to maintain ongoing compliance.
Final Declaration and Agency Signoff
I, the undersigned, hereby declare on behalf of [Umbrella Company Name] that:
1) The information provided in this Umbrella PAYE Self-Audit is complete, accurate, and reflects current operating practices.
2) I acknowledge that this audit covers statutory obligations including PAYE/NIC, VAT, Employment Rights, Modern Slavery Act 2015, Criminal Finances Act 2017, GDPR, and related compliance requirements.
3) I understand that this information may be shared with HMRC, enforcement agencies, or compliance bodies as required.
4) I agree to notify the engaging agency and/or end-hirer immediately of any material changes that affect compliance status.
5) I recognise that providing false, misleading, or incomplete information may constitute fraud and could give rise to civil or criminal liability.
6) I confirm that the umbrella has considered the forthcoming Joint & Several Liability (JSL) provisions effective April 2026, and that governance measures and contractual safeguards are in place to prepare for compliance.
7) This declaration will be reviewed at least annually, or earlier if business practices or relevant legislation change.
