Market leading insight for tax experts
View online issue

Travel Document Service & Ladbroke Group International v HMRC

Unallowable debits under loan relationships

Our pick of this week's cases
 

In Travel Document Service & Ladbroke Group International v HMRC [2018] EWCA Civ 549 (20 March 2018) the Court of Appeal found that debits under a loan relationship were not allowable under FA 1996 Sch 9 para 13.

TDS and LGI both belonged to the Ladbroke group of companies. TDS was a subsidiary of Ladbrokes plc the group's parent company and itself owned LGI. LGI in turn held the shares in a company with two trading subsidiaries JBB and LCC. JBB was the lessee of numerous properties and LCC provided call centre services. The principal operating company of the group was LBG another subsidiary of Ladbrokes plc. It had as a subsidiary LNIH which itself owned a company based in Northern Ireland NWB.

The group had...

If you or your firm subscribes to Taxjournal.com, please click the login box below:

If you do not subscribe but are a registered user, please enter your details in the following boxes:

Alternatively, you can register free of charge to read a limited amount of subscriber content per month.
Once you have registered, you will receive an email directing you back to read this article in full.
Please reach out to customer services at +44 (0) 330 161 1234 or 'customer.services@lexisnexis.co.uk' for further assistance.
EDITOR'S PICKstar
300 x 250 (MPU)
Top