Application for judicial review of HMRC settlement
The case of R (oao UK Uncut Legal Action Ltd) v HMRC (QB – 13 June) follows on from the widely publicised case of Goldman Sachs International v HMRC (No 2) ([2010] SFTD 930) in which HMRC had issued a ruling to a company (GSI) that the exercise of certain options to employees gave rise to a liability to national insurance contributions. GSI appealed contending that the staff were supplied by an associated company (GSL) and applied for a preliminary hearing to determine whether it could be treated as the employer of the employees who had exercised the options. The First-tier Tribunal held a preliminary hearing reviewed the evidence in detail and determined the preliminary issue in favour of HMRC finding that GSL ‘did not have a place of business in Great Britain at any time relevant...
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Application for judicial review of HMRC settlement
The case of R (oao UK Uncut Legal Action Ltd) v HMRC (QB – 13 June) follows on from the widely publicised case of Goldman Sachs International v HMRC (No 2) ([2010] SFTD 930) in which HMRC had issued a ruling to a company (GSI) that the exercise of certain options to employees gave rise to a liability to national insurance contributions. GSI appealed contending that the staff were supplied by an associated company (GSL) and applied for a preliminary hearing to determine whether it could be treated as the employer of the employees who had exercised the options. The First-tier Tribunal held a preliminary hearing reviewed the evidence in detail and determined the preliminary issue in favour of HMRC finding that GSL ‘did not have a place of business in Great Britain at any time relevant...
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