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One minute with
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One minute with
ONE MINUTE WITH
Reflections on a career in tax.
One minute with… Valentina Sloane QC
Valentina Sloane KC
One minute with Valentina Sloane QC, barrister at Monckton Chambers.
One minute with... Mamuna Farooq
Mamuna Farooq
One minute with Mamuna Farooq, partner and the head of Middle East at Child & Child.
One minute with… Jason Collins
Jason Collins
One minute with Jason Collins, head of tax, litigation and regulatory at Pinsent Masons.
One minute with… Filippo Noseda
Filippo Noseda
One minute with Filippo Noseda, partner at Mishcon de Reya and a visiting professor at King’s College in London.
One minute with… Sean Bannister
Sean Bannister
One minute with Sean Bannister, the head of the tax practice at Edwin Coe.
One minute with… Emma Chamberlain OBE
Emma Chamberlain
One minute with Emma Chamberlain OBE, barrister at Pump Court Tax Chambers.
One minute with… Hugh Gunson
Hugh Gunson
One minute with Hugh Gunson, solicitor-advocate at Charles Russell Speechlys
One minute with… David Sleight
David Sleight
One minute with David Sleight, partner in the criminal litigation team at Kingsley Napley.
One minute with… Julian Bowden-Williams
Julian Bowden-Williams
One minute with Julian Bowden-Williams, tax director for the Veolia group.
Views from tax professionals in 2019
A selection of highlights from this year’s ‘one minute with’ coverage.
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65
EDITOR'S PICK
Spare us the cUTTer
Nick Thornton
1 /7
PGMOL: where the FTT decision may be vulnerable on appeal
Rebecca Seeley Harris
2 /7
Muller: notional companies and real-world transactions
Ashley Greenbank
3 /7
Burlington: towards an international fiscal meaning of ‘main purpose’
Kyle Rainsford
4 /7
Is a loan earnings? Revisiting Rangers
Dominic Stuttaford
,
Katharine Wadia
5 /7
Qualifying Asset Holding Companies: don’t let your ‘kwæk’ end up in the ‘kæk’
Nick Thornton
6 /7
Freedom (of information) is a noble thing: HMRC, tax and the limits of transparency
Hartley Foster
7 /7
Spare us the cUTTer
Nick Thornton
PGMOL: where the FTT decision may be vulnerable on appeal
Rebecca Seeley Harris
Muller: notional companies and real-world transactions
Ashley Greenbank
Burlington: towards an international fiscal meaning of ‘main purpose’
Kyle Rainsford
Is a loan earnings? Revisiting Rangers
Dominic Stuttaford
,
Katharine Wadia
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
NEWS
Read all
Foreign Permanent Establishment exemption to be made mandatory
Chancellor announces package of road fuel measures
Quarterly advisory fuel rates published
New Isle of Man social security agreement signed
Streeting proposes CGT equalisation in ‘wealth tax’ plan
CASES
Read all
Queenscourt Ltd v HMRC
Re Waldorf Production UK plc
H Gwyn-Jones v HMRC
Other cases that caught our eye: 29 May 2026
HC-One No 1 Ltd v HMRC
IN BRIEF
Read all
HMRC clarify CIS financing positions
TP adjustments and VAT: lessons from Stellantis Portugal
Updating the obsolete
The growing problem of the personal allowance phase down
Situs: loan notes
MOST READ
Read all
UK to UK transfer pricing: what the recent changes mean for VAT
HMRC warn against use of ‘Bills of Exchange’ to pay HMRC
J Krason v HMRC
PGMOL: where the FTT decision may be vulnerable on appeal
GAAR Advisory Panel opinion