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CORPORATION TAX


Peter Cussons examines the potential EU law and international issues facing the UK's diverted profits tax.

In the first of a new series, Allan Cinnamon provides a global review of tax treaty developments, including the UK’s DPT.

Mark Middleditch (Allen & Overy) provides the monthly round-up of tax developments affecting the City

Devolution is being undertaken piece-meal and inconsistently, writes Lakshmi Narain

Hey, a new tax. As a tax adviser, that sounds like pretty good news. (Shame it is so bad for the country, but that's politics for you).

It is clear that the government feels the need to ‘do something’. However, it is much less clear that the diverted profits tax proposals is the best thing to do, as Heather Self (Pinsent Masons) explains.

Which taxpayers should review their position following the CJEU decision in EC v UK regarding TCGA 1992 s 13)? Peter Cussons, international corporate tax partner at PwC, considers the implications for taxpayers and believes further amendments to the legislation could be possible. 

In a written ministerial statement issued on Tuesday (3 December), financial secretary to the Treasury David Gauke confirmed that the OECD has adopted all of the proposals put forward by the UK and Germany to resolve uncertai

Jonathan Bridges (KPMG) examines the key points of the recently announced UK/German proposal for preferential IP regimes

Anthony Newgrosh (BKL) answers a query on when parties are connected under the loan relationship rules

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