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CASES
Each week we report the tax cases that matter. Tax Journal subscribers have unrestricted access to the full archive, covering hundreds of cases.
Other cases that caught our eye: 7 May 2021
Taxation of distributionsIn B Khan v HMRC [2021] EWCA Civ 624 (30 April 2021), the Court of Appeal dismissed the taxpayers appeal and held that the UTs decision was correct. The taxpayer had received a distribution consisting of the...
R (oao M Sport) v HMRC
Follower and accelerated payment notices: Court of Appeal confirms that the representations procedure should be exhausted before making judicial review claim
SK Telecom Co Ltd
VAT due on mobile roaming charges
K Mehrban v HMRC
Stale discovery assessment
HMRC v BMW Shipping Agents Ltd
Reinstatement of a struck-out appeal
Other cases that caught our eye: 30 April 2021
Landfill tax and statutory constructionThe judgment in HMRC v Devon Waste Management Ltd others [2021] EWCA Civ 584 (22 April 2021) starts with the memorable line: The old saying Where theres muck, theres...
S Hoey v HMRC
Upper Tribunal rules on TT jurisdiction to determine PAYE credit and transfer of assets abroad rules
M Group Holdings Ltd v HMRC
Substantial shareholding exemption denied
Euromoney Institutional Investor plc v HMRC
Share for share exchange: anti-avoidance rules
Other cases that caught our eye: 23 April 2021
Limitation and equitable rescission for fraudulent misrepresentationIn IGE USA Investments Ltd (formerly IGE USA Investments) v HMRC [2021] EWCA Civ 534 (14 April 2021), the Court of Appeal allowed an appeal against the decision of Zarcoli J and...
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EDITOR'S PICK
Qualifying Asset Holding Companies: don’t let your ‘kwæk’ end up in the ‘kæk’
Nick Thornton
1 /7
Freedom (of information) is a noble thing: HMRC, tax and the limits of transparency
Hartley Foster
2 /7
Hotel La Tour: where next for input tax recovery on share disposals?
Rupert Shiers
,
Laura Hodgson
3 /7
Mandatory agent registration: what we know so far
Jane Mellor
4 /7
Permanent Establishment reform: what has changed, who is affected and why does it matter?
Rob Sharpe
,
Iarlaith McCarthy-Hann
5 /7
The Pillar Two Side-by-Side package: how UK groups should approach compliance
Jack Gifford
6 /7
Share reorganisations: new anti-avoidance rules explained
Peter Morley
,
Jamie Robson
7 /7
Qualifying Asset Holding Companies: don’t let your ‘kwæk’ end up in the ‘kæk’
Nick Thornton
Freedom (of information) is a noble thing: HMRC, tax and the limits of transparency
Hartley Foster
Hotel La Tour: where next for input tax recovery on share disposals?
Rupert Shiers
,
Laura Hodgson
Mandatory agent registration: what we know so far
Jane Mellor
Permanent Establishment reform: what has changed, who is affected and why does it matter?
Rob Sharpe
,
Iarlaith McCarthy-Hann
The Pillar Two Side-by-Side package: how UK groups should approach compliance
Jack Gifford
Share reorganisations: new anti-avoidance rules explained
Peter Morley
,
Jamie Robson
NEWS
Read all
Staggered roll-out for mandatory tax adviser registration
Consultation on proposed UK corporate re-domiciliation regime
Cryptoassets taxation: stablecoins
Administrative change to CIR rules
NIC regs mirror tax changes
CASES
Read all
HMRC v Colchester Institute Corporation
HMRC v Boehringer Ingelheim Ltd
R (oao Rokos) v HMRC
Other cases that caught our eye: 10 April 2026
HMRC v C Brzezicki
IN BRIEF
Read all
Exceptional circumstances – but which way?
Tax agent registration and financial services
Provisions
New SDLT burden for private renters
Transactions in Securities counteraction notices
MOST READ
Read all
J Hosking v HMRC
L Rowland & Co (Retail) Ltd v HMRC
Consultation tracker
Case watch
Other cases that caught our eye: 27 March 2026