In English Holdings Ltd v HMRC, the First-tier Tribunal considered the situation where a loss arising on a trade subject to corporation tax was claimed against a profit subject to income tax. The situation arose in respect of a non-resident company, which had a permanent establishment through which it carried on a trade, as well as investment properties on which it received rental income. The tribunal allowed the claim in a decision that may surprise some practitioners. The company failed, however, to win the appeal against a late filing penalty.
Kevin Offer (Gabelle) reviews the case of English Holdings Ltd v HMRC, where corporate losses were claimed against income.
In English Holdings Ltd v HMRC, the First-tier Tribunal considered the situation where a loss arising on a trade subject to corporation tax was claimed against a profit subject to income tax. The situation arose in respect of a non-resident company, which had a permanent establishment through which it carried on a trade, as well as investment properties on which it received rental income. The tribunal allowed the claim in a decision that may surprise some practitioners. The company failed, however, to win the appeal against a late filing penalty.
Kevin Offer (Gabelle) reviews the case of English Holdings Ltd v HMRC, where corporate losses were claimed against income.