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NEWS
Recent developments in tax.
PAC criticises HMRC for failure to target wealthiest
HMRC do not know how many billionaires pay tax in the UK, or how much they contribute overall, the Public Accounts Committee concludes in a new report. The paper, Collecting the right tax from wealthy individuals, finds that ‘HMRC has no overview of...
Government needs coherent tax strategy, says new IFS Director
Speaking at her first engagement as Director of the Institute for Fiscal Studies, Helen Miller said that the Government should focus on the ‘big challenges’, adopting a coherent tax strategy rather than ‘tinkering around the edges’. At the event...
MTD for Income Tax: multiple agents
HMRC have updated the ‘signing up’ section of their Use Making Tax Digital for Income Tax guidance, to cover the appointment of more than one agent, giving an example of a bookkeeper who deals with quarterly submissions (the supporting agent) and an...
HMRC's manual changes: 11 July 2025
This roundup sets out the most important changes to HMRC manuals over the past week as curated by our editors.
Wealth taxes and fiscal reality
Responding to general speculation that the 2025 Autumn Budget will need to include tax increases, following the UK Government’s recent reversal of plans to save money through welfare reform, the Institute for Fiscal Studies (IFS) pours hot water on...
‘Legislation Day’ date announced
Draft legislation for Finance Bill 2026 is to be published on Monday 21 July 2025, James Murray, Exchequer Secretary to the Treasury, has announced in a written statement. This will cover ‘pre-announced policy changes’. Explanatory notes, tax...
UK tax on a Scottish local tax?
In a joint letter to the Scottish Government and HMRC, the CIOT and ICAS outline a number of points to consider in relation to the potential VAT treatment of the Scottish Visitor Levy, which is expected to be introduced locally from around mid-2026...
One Big Beautiful Bill Act enacted
President Trump signed the One Big, Beautiful Bill Act into law on 4 July. The retaliatory measure set out in section 899 was removed after the G7 reached a shared understanding regarding US exemption from the Pillar Two global minimum tax rules....
Pillar Two territories and top-up taxes
The Multinational Top-up Tax (Pillar Two Territories, Qualifying Domestic Top-up Taxes and Accredited Qualifying Domestic Top-up Taxes) (Amendment) Regulations, SI 2025/783, allow HMRC to specify Pillar Two territories and overseas domestic top-up...
Direct taxes approach to appeals more effective, says CIOT
Responding to HMRC’s consultation on improving HMRC’s approach to dispute resolution, the CIOT sets out its support for the alignment of appeals processes across direct and indirect taxes, thus helping reduce confusion and misunderstanding caused by...
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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
Tax Journal authors for March
New reporting requirements for close company payments proposed
Lords amendments to NICs Bill rejected
Call for evidence: phase out of remaining ACT regime
Call for evidence: business systems integration
CASES
Read all
HMRC v C Brzezicki
J Hosking v HMRC
L Rowland & Co (Retail) Ltd v HMRC
Other cases that caught our eye: 27 March 2026
Muller UK and Ireland Group LLP and others v HMRC
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
Exceptional circumstances – but which way?
Countrywide Partners Ltd v HMRC
Muller UK and Ireland Group LLP and others v HMRC
L Rowland & Co (Retail) Ltd v HMRC