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Termination payments
Indirect taxes
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Environmental taxes
IPT
VAT
International taxes
BEPS
CFCs
Cross border
Double tax relief
Foreign profits
Residence
Transfer pricing
UK competitiveness
Withholding taxes
Private business taxes
OMBs
Partnerships
Private client taxes
CGT
IHT
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Trusts & estates
Real estate taxes
Property taxes
REITs
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SDLT
SDRT
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Anti-avoidance
Appeals
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Issue
1381
Home
Issue
1381
Issue 1381
13 December, 2017
Analysis
The state of the tax debates in 2017
The corporate tax world in 2017
The 2017 private client tax landscape
VAT in 2017: endings, beginnings and other twists
Contentious tax in 2017
News
Obituary: Chris Jones
GAAR advisory panel publishes new opinions
Treasury considers PAYE changes for short visits to UK
RTI post-implementation review report
Attitudes to engagement with MTD
Collective investment schemes and offshore funds
Corporation tax loss relief reform guidance
Corporate interest restriction adjustments
HMRC extends TRS deadline for existing trusts
Help-to-save implementation slowed
Welsh land transaction tax threshold to rise
Disclosure of indirect taxes avoidance
Welsh landfill disposals tax transition
New Budget timetable and tax policy-making process
Finance Bill 2018 progress
Tackling the hidden economy through tax registration checks
Enabler penalties and legally privileged information
New HMRC guidance
Cases
Our pick of 2017 tax cases
One minute with
One minute with... highlights of 2017
EDITOR'S PICK
The non-doms reforms: a practitioner view
Helen McGhee
1 /7
Mind the gap! Extension of the Transfer of Assets Abroad legislation post-Fisher
Emily Osborne
2 /7
What the Budget means for non-UK resident trusts
Edward Hayes
3 /7
Raising standards
Paul Aplin OBE
4 /7
An entrée before the manifesto main course?
Chris Sanger
5 /7
The UK’s non-dom regime: the end of the road?
Sophie Dworetzsky
,
Dominic Lawrance
6 /7
Pillar Two compliance: the view from the 100 Group Tax Committee
Dominic Mathon
7 /7
The non-doms reforms: a practitioner view
Helen McGhee
Mind the gap! Extension of the Transfer of Assets Abroad legislation post-Fisher
Emily Osborne
What the Budget means for non-UK resident trusts
Edward Hayes
Raising standards
Paul Aplin OBE
An entrée before the manifesto main course?
Chris Sanger
The UK’s non-dom regime: the end of the road?
Sophie Dworetzsky
,
Dominic Lawrance
Pillar Two compliance: the view from the 100 Group Tax Committee
Dominic Mathon
NEWS
Read all
HMRC ‘sufficiently resourced’, says government
Special tax sites ‘sunset’ date extended
Transfers of building society business
Class 2 NICs: unexpected refunds
Voluntary NICs online checker launched
CASES
Read all
C Ferguson-Davie and another v HMRC
A D Bly Groundworks and Civil Engineering Ltd and another v HMRC
Qubic Advisory Services Ltd v HMRC
Other cases that caught our eye: 3 May 2024
Hargreaves Property Holdings Ltd v HMRC
IN BRIEF
Read all
Lessons from Thyssenkrupp on customs duty claims
Expenses of employment
EU watch: last steps before the new Commission
Labour’s non-dom proposals
Winding down offshore property structures
MOST READ
Read all
Labour’s tax plans: aiming at the wrong target?
The non-doms reforms: a practitioner view
Updated R&D guidance from HMRC
A guide to tax and ESG for in-house Heads of Tax
BlackRock Holdco 5 LLC v HMRC