Market leading insight for tax experts
View online issue

ANTI AVOIDANCE


Liz Wilson (Squire Patton Boggs) considers whether the Supreme Court’s decision shifts the boundary between acceptable and unacceptable SDLT planning.

Helen Cox and Kassim Meghjee (Mishcon de Reya) consider the case’s progress through the courts and the practical impact of the Court of Appeal decision.

HMRC is accused of an ‘all of nothing’ approach to disputes. Andrew Goodall reports findings from Tax Journal’s recent practitioner survey.
 

Jackie Wheaton (Moore Stephens) examines the widely-used phrase in UK tax law, particularly in relation to anti-avoidance sections.

The Sanctions and Anti-Money Laundering Act 2018, which received royal assent on 23 May, requires the government to provide annual reports on progress made regarding the beneficial ownership register being put in place by 2021.

Mike Lane (Slaughter and May) examines a recent First-tier Tribunal decision which appears to contain key errors on some fundamental points of tax law.
 
Kassim Meghjee and Helen Cox (Mishcon de Reya) review the government’s new proposals intended to take effect from next April.
 
Here is an opportunity to help shape the government’s strategy over the coming years. Thomas Barker (Charter Tax Consulting) explains.
 
Geoff Hippert (Milestone International Tax Partners) reviews the impact of the new rules.
 

Ollie Ward-Jones & Devinder Singh (Squire Patton Boggs) consider HMRC's proposals.

EDITOR'S PICKstar
Top