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Home
Issue
1227
Home
Issue
1227
Issue 1227
30 July, 2014
Analysis
HMRC’s anti-avoidance strategy: the next squeeze
Taking stock of unallowable purpose
How FATCA applies to non-US funds
Loss of ability to surrender group relief during sale negotiations
VAT briefing for August 2014
Q&A: The FA 2014 legislation on follower notices
Q&A: The new ‘global FATCA’: where are we now?
In brief
Talking points
A cautionary tale of wide judicial latitude in statutory construction
US inversions: AWOL or desertion?
Is ATED tax deductible?
News
HMRC business records checks ‘at highest level’
Solicitors criticise tax debt recovery proposals
Dates set for new rules on video games relief, VCTs and offshore funds
HMRC staff strike over job cuts
New pension schemes regulations set to come into force
Contractor loan scheme users offfered settlement opportunity
In brief: partnerships; employment-related securities; DRT; Canada DTA; recovery of debt; new guidance
Cases
Matthew Roper v HMRC
Thomas Dalziel Steelfixing v HMRC
Royal Borough of Kesington & Chelsea v HMRC
Helmbridge v HMRC
Judith Thorne v HMRC
HMRC v Lloyds TSB Equipment Leasing
Andrew Chappell v HMRC
Temple Retail v HMRC
Daniel Pittack v HMRC
Peter Letts v HMRC
Vodafone Group Services v HMRC
HMRC v David Finnamore
Airtours Holidays Transport v HMRC
Sabaratnam Devaraj v HMRC
One minute with
One minute with... Simon Concannon
Practice guides
How FATCA applies to non-US funds
Loss of ability to surrender group relief during sale negotiations
EDITOR'S PICK
GE Financial, treaty residence, and the meaning of ‘business’
Kyle Rainsford
1 /7
OECD pillar talk: Pillar Two looming; Pillar One a step closer
Brin Rajathurai
,
James Burton
,
Mitchell Fraser
2 /7
NICs investment zone reliefs for employers
3 /7
New transfer pricing records requirements
4 /7
UK adopts Pillar Two accounting changes
5 /7
M R Currell Ltd v HMRC
6 /7
Legislation day: draft Finance Bill 2024
7 /7
GE Financial, treaty residence, and the meaning of ‘business’
Kyle Rainsford
OECD pillar talk: Pillar Two looming; Pillar One a step closer
Brin Rajathurai
,
James Burton
NICs investment zone reliefs for employers
New transfer pricing records requirements
UK adopts Pillar Two accounting changes
M R Currell Ltd v HMRC
Legislation day: draft Finance Bill 2024
NEWS
Read all
Test4- GE Financial, treaty residence, and the meaning of ‘business
Test3- GE Financial, treaty residence, and the meaning of ‘business
Test- GE Financial, treaty residence, and the meaning of ‘business
Test2- GE Financial, treaty residence, and the meaning of ‘business
Treasury Committee calls for systematic review of tax reliefs
CASES
Read all
Test4- GE Financial, treaty residence, and the meaning of ‘business
Test3- GE Financial, treaty residence, and the meaning of ‘business
Test- GE Financial, treaty residence, and the meaning of ‘business
Test2- GE Financial, treaty residence, and the meaning of ‘business
M R Currell Ltd v HMRC
IN BRIEF
Read all
Test4- GE Financial, treaty residence, and the meaning of ‘business
Test3- GE Financial, treaty residence, and the meaning of ‘business
Test- GE Financial, treaty residence, and the meaning of ‘business
Test2- GE Financial, treaty residence, and the meaning of ‘business
Self’s assessment: Inheritance tax
MOST READ
Read all