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HMRC


BKL Tax looks at the case of Horner, where the taxpayer sought damages from the promoters of a failed tax avoidance scheme

The Law Society Tax Law Committee provides five recommendations on HMRC’s ‘judge and jury’ tax powers

Angela Savin considers whether the decisions in Versteegh and Greene King indicate a move towards HMRC challenging accounts and why this matters to the taxpayer

HMRC ‘is up for a fight’, says James Bullock.

Pinsent Masons reports

Jason Collins reports on HMRC’s draft legislation and further consultation on tackling marketed avoidance schemes

Gareth Miles and Richard Jeens consider two recent developments that may affect how taxpayers with apparently similar disputes to others decide what course of action to take

Liesl Fichardt reports on findings from a recent survey examining industry views on the competitiveness of the UK tax regime, reputational risk, disputes and HMRC practices

Bill Dodwell writes that much of the PAC’s recent report on HMRC sees the committee drift away from evidence-based findings to opinion

Pete Miller gives a second opinion on the PAC’s latest findings on HMRC

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