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Steve Wade on the proposed statutory residence...
Steve Wade explains the proposals for the new statutory residence test...
6 August 2012
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Corporate interest deductibility: the latest...
In this 10 minute webcast, Ashley Greenbank, tax partner at...
23 June 2016
View Webcast
Jonathan Levy on 2013 developments in tax disputes...
Jonathan Levy, tax partner at RPC, discusses the contentious tax...
21 June 2013
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Jonathan Levy on 2012 developments in tax disputes...
Jonathan Levy, tax partner at RPC, considers developments in tax...
12 November 2012
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Ashley Greenbank on distributions in specie...
Ashley Greenbank gives a short talk on the proposed measures...
28 February 2012
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Erika Jupe on Seed EIS relief...
Erika Jupe explains how the SEIS relief works, how it compares to EIS...
2 May 2012
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Paula Tallon on winding up a company...
Paula Tallon explains the reasons for and tax consequences of winding...
11 March 2012
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Heather Self on CFC reform post-Finance Bill...
Heather Self provides an update on the reform of the controlled...
15 April 2012
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John Whiting on the work of the OTS...
John Whiting provides an update on the work of the Office of...
1 May 2012
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Kristy Cooper on REITs...
Kristy Cooper provides a guide to the current REIT regime, and how the...
23 May 2012
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EDITOR'S PICK
Cards face up? HMRC’s approach to the duty of candour
Robert Waterson
,
Rebekka Sandwell
1 /7
Self’s assessment: Reforms to APR
Heather Self
2 /7
The new Overseas Workday Relief regime: worse than before?
Steve Wade
3 /7
A new chapter in the unallowable purpose tale: the FTT’s decision in Syngenta
Tanja Velling
4 /7
Non-doms post-Budget: where are we now?
Helen McGhee
,
Lynnette Bober
5 /7
Tax Journal's 2024 Autumn Budget coverage
6 /7
Derivatives, repos and stock loans: an overview
Matthew Mortimer
,
Tamar Ruiz
7 /7
Cards face up? HMRC’s approach to the duty of candour
Robert Waterson
,
Rebekka Sandwell
Self’s assessment: Reforms to APR
Heather Self
The new Overseas Workday Relief regime: worse than before?
Steve Wade
A new chapter in the unallowable purpose tale: the FTT’s decision in Syngenta
Tanja Velling
Non-doms post-Budget: where are we now?
Helen McGhee
,
Lynnette Bober
Tax Journal's 2024 Autumn Budget coverage
Derivatives, repos and stock loans: an overview
Matthew Mortimer
,
Tamar Ruiz
NEWS
Read all
HMRC manual changes: 29 November 2024
EOT tax relief too narrow, suggests CIOT
Tax reliefs confirmed for special tax sites in Wales
Updated advisory fuel rates published
IHT should apply equally across all assets, says IFS
CASES
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R (oao Cobalt Data Centre 2 LLP and another) v HMRC
The Tower One St George Wharf Ltd v HMRC
HMRC v The Taxpayer and others
R (oao Refinitiv Ltd and others) v HMRC
Generator Power Ltd v HMRC
IN BRIEF
Read all
Refinitiv: not so clear cut
The complexities of APR and IHT for family farms
Self’s assessment: Reforms to APR
Greater taxpayer success under internal HMRC reviews
Can a compromise on APR be achieved?
MOST READ
Read all
R (oao Refinitiv Ltd and others) v HMRC
UK signs new double tax treaty with Romania
A new chapter in the unallowable purpose tale: the FTT’s decision in Syngenta
Self’s assessment: Reforms to APR
The new Overseas Workday Relief regime: worse than before?