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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: 18 June 2021
Interaction of tax avoidance scheme and corporate lawThe case ofChalcot Training Ltd v (1) Stoneman (2) HMRC[2021] EWCA Civ 795 (27 May 2021) arose out of a tax-avoidance E shares scheme, but this judgment considers the...
Poundland Ltd v HMRC Comms
Bespoke retail scheme did not require a provision for a closing stock adjustment
West Burton Property Ltd v HMRC
Unamortised revenue expenditure allowed on sale of asset
Avonside Roofing Ltd v HMRC
Was information requested in Sch 36 notice ‘reasonably required’?
Titanium Ltd v Finanzamt Österreich
Let property does not create VAT fixed establishment
E.ON UK Plc v HMRC
Lump sum payments for pension agreement are taxable earnings
Other cases that caught our eye: 11 June 2021
Discovery can only be made onceS Kelly v HMRC [2021] UKFTT 162 (TC) (18 May 2021) raises a small, but important, point in the much-disputed area of discovery. HMRC raised discovery assessments on the taxpayer for tax due on the benefit of a company...
Heathrow Airport Ltd and others v HM Treasury and HMRC
Challenge to Brexit withdrawal of ‘tax free shopping’ rejected by Court of Appeal
Tower Resources PLC v HMRC
Oil and mining holding company management charges
Other cases that caught our eye: 4 June 2021
Relevance of criminal conviction to an appeal against an assessmentIn S Munir v HMRC [2021] EWCA Civ 799 (26 May 2021), the Court of Appeal found that the FTT had erred in its decision not to strike out the appellant's case because it had failed to...
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EDITOR'S PICK
The new Securities Transfer Tax: business as usual?
Georgina West
1 /7
Responding to Sch 36 notices: a practical guide
Stephanie Mullins
,
Richard Jeens
2 /7
Rights, influence and LLP member status after BlueCrest
Constantine Christofi
,
Craig Kirkham-Wilson
,
Lauren Trask
3 /7
Let the light in: LLCs and other reverse hybrids
Matthew Rowbotham
4 /7
HFFX: the widening reach of miscellaneous income
Elena Rowlands
,
Tom Margesson
,
Ian Zeider
5 /7
Estoppel and abuse of process in VAT
Claire Logan
6 /7
The UK’s tax certainty problem
Jenny Batchelor
,
Ahmed Mobasshir
7 /7
The new Securities Transfer Tax: business as usual?
Georgina West
Responding to Sch 36 notices: a practical guide
Stephanie Mullins
,
Richard Jeens
Rights, influence and LLP member status after BlueCrest
Constantine Christofi
,
Craig Kirkham-Wilson
Let the light in: LLCs and other reverse hybrids
Matthew Rowbotham
HFFX: the widening reach of miscellaneous income
Elena Rowlands
,
Tom Margesson
Estoppel and abuse of process in VAT
Claire Logan
The UK’s tax certainty problem
Jenny Batchelor
,
Ahmed Mobasshir
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