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Julie Howard (Boodle Hatfield) considers the ways of funding distributions to beneficiaries from an offshore trust, some of whom are UK resident.
Constantine Christofi (RPC) examines the legal and practical issues. 
Sarah Squires (Old Square Tax Chambers) considers how the rebasing rules apply to a recent non-resident's plans to sell UK buy-to-let properties.
Colin Hailey (Confluence Tax) outlines two options. 
Helen Mackey and Jannine Nicholas (Eversheds Sutherland) consider the application of the new tax to a UK manufacturer of food packaging.
Matthew Shayle (Wiggin Osborne Fullerlove) highlights a UK tax trap for Guernsey law limited partnerships.
There are a wide range of tax considerations for a UK resident limited partner, writes Katherine Bullock (Field Court Tax Chambers).
Simon Howley (Bell Howley Perrotton) considers when a charge to SDLT is triggered.
Penny Simmons (Pinsent Masons) answers a question on the UK tax risks when engaging overseas contractors.

Deepesh Upadhyay and Ben Jones (Eversheds Sutherland) answers a query on how a non-UK tax transparent debt fund can benefit from the DTTP scheme.

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