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NEWS
Recent developments in tax.
Voluntary standard for customs intermediaries
HMRC is consulting until 30 August 2023 on a proposed new voluntary standard for customs intermediaries, with the aim of improving the quality of service provided across the sector. According to the consultation documentation, 78% of all customs...
Plastic packaging tax: claims for tax credits
The Plastic Packaging Tax (General) (Amendment) Regulations, SI 2023/622, specify that a claim for a tax credit for tax arising in the same accounting period must be accounted for separately (in a return) to claims for tax credits where the tax arose...
Customs: goods moved to NI not destined for the EU
The Customs (Northern Ireland: Repayment and Remission) (EU Exit) (Amendment) Regulations, SI 2023/618, establish new arrangements under which customs duty charged in respect of certain goods entering Northern Ireland can be remitted or repaid to...
Windsor Framework latest
The Windsor Framework (Disclosure of Revenue and Customs Information) Regulations, SI 2023/623, enable HMRC to share information on movements of goods with the EU, under the Windsor Framework agreement part of the UKs commitment to...
Uzbekistan joins BEPS Inclusive Framework
Uzbekistan has joined the BEPS Inclusive Framework, and will also participate in the two-pillar plan to reform international taxation rules and ensure that multinational enterprises pay a fair share of tax wherever they operate....
Still time to reverse decision on OTS
The CIOT has again urged the UK government to reconsider its position on closure of the Office of Tax Simplification. In a recent speech, Gary Ashford, CIOT president, pointed out that, although the tax system may have continued to become more...
HMRC manual changes: 9 June 2022
This roundup sets out the most important changes to HMRC manuals over the past week as curated by our editors.
Treasury consults on umbrella companies
HM Treasury has launched a new consultation which considers policy options to regulate and tackle non-compliance in the umbrella company market, both from an employment rights and tax perspective. This follows a previous call for evidence on the...
Carried interest regime faces legal challenge
Following the recent analysis by Tax Policy Associates which suggested that the carried interest regime had no foundation in legislation, contending that private equity funds are trading rather than investing for tax purposes, the Good Law Project,...
Cases granted permission to appeal
The Supreme Court has granted the appellants permission to appeal in the following tax cases:Centrica Overseas Holdings Ltd v HMRC [2022] EWCA Civ 1520 (deductions for management expenses disallowed as capital expenditure); andR (on the application...
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1115
EDITOR'S PICK
Permanent Establishment exemption: preparing for mandatory application
Alison Lobb
,
Lisa Shipley
1 /7
The 2026 loan charge settlement scheme: the beginning of the end?
David Pett
2 /7
The new Securities Transfer Tax: business as usual?
Georgina West
3 /7
Responding to Sch 36 notices: a practical guide
Stephanie Mullins
,
Richard Jeens
4 /7
Rights, influence and LLP member status after BlueCrest
Constantine Christofi
,
Craig Kirkham-Wilson
,
Lauren Trask
5 /7
Let the light in: LLCs and other reverse hybrids
Matthew Rowbotham
6 /7
HFFX: the widening reach of miscellaneous income
Elena Rowlands
,
Tom Margesson
,
Ian Zeider
7 /7
Permanent Establishment exemption: preparing for mandatory application
Alison Lobb
,
Lisa Shipley
The 2026 loan charge settlement scheme: the beginning of the end?
David Pett
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
NEWS
Read all
Government’s consultation reset raises questions for tax policymaking
HMRC restate VAT position on supplies of education services
Scottish ADT provisions brought into force
OECD schedules public meeting on intra-group service guidance
HMRC issue new loan charge settlement scheme guidance
CASES
Read all
The Executors of Hunt and others v HMRC
Grand Smile Design Ltd v HMRC
S Knight v HMRC
Oakwood Great Oak Ltd v HMRC
Other cases that caught our eye: 11 September 2026
IN BRIEF
Read all
HMRC get more bang for their buck
Sanctionable conduct
The end of offshore execution on secondary transactions
Tax adviser registration: deferral for investment managers
When is a trustee not a trustee?
MOST READ
Read all
Property 118 Ltd and another v HMRC
The end of offshore execution on secondary transactions
Knights Developments Ltd v HMRC
Perenco UK Ltd v HMRC
Consultation tracker