James Bullock Head of Risk Advisory Solutions at McGrigors LLP adds to the debate on the new Information Powers regime with a personal opinion piece
I had originally intended to write this opinion piece on where the law stands in relation to tax avoidance but the debate around the new Information Powers regime contained in the Finance Act 2008 Sch 36 (in relation to which I wrote when the new legislation was first published — see 'Compliance Investigations and Litigation' The Tax Journal Issue 928 7 April 2008) continues to run and I could not resist returning to this theme which is of undoubted importance and (evidently) considerable interest to all tax practitioners. I hope to be able to return to the equally interesting question of anti-avoidance...
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James Bullock Head of Risk Advisory Solutions at McGrigors LLP adds to the debate on the new Information Powers regime with a personal opinion piece
I had originally intended to write this opinion piece on where the law stands in relation to tax avoidance but the debate around the new Information Powers regime contained in the Finance Act 2008 Sch 36 (in relation to which I wrote when the new legislation was first published — see 'Compliance Investigations and Litigation' The Tax Journal Issue 928 7 April 2008) continues to run and I could not resist returning to this theme which is of undoubted importance and (evidently) considerable interest to all tax practitioners. I hope to be able to return to the equally interesting question of anti-avoidance...
If you or your firm subscribes to Taxjournal.com, please click the login box below:
If you do not subscribe but are a registered user, please enter your details in the following boxes: