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IPT
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1354
Home
Issue
1354
Issue 1354
16 May, 2017
Analysis
HMRC’s information powers
Tax law rewrite: Scambler on looking back to ICTA 1988
Archer: judicial review in the context of statutory tax appeals
HMRC’s guidance on VAT recovery for holding companies
Private client briefing for May 2017
In brief
Tax reform: the IoD’s recommendations
What will a new government mean for making tax digital?
There’s no such thing as a VAT-free lunch, or is there?
Relief for SDLT 3% surcharge for only or main residence
News
Labour's tax proposals
Preparing pension schemes for Scottish rate of income tax
IOM prepares corporate beneficial ownership database
New trusts register poses risk of identity theft
Commission approves extension of island fuel duty relief scheme
Tax is ‘price to pay’ for growth
OECD advocates social policy benefits of energy taxes
Lebanon signs multilateral convention on tax matters
Australian Treasury pressed on bank levy guidance
ICAEW identifies businesses that will have difficulty with MTD
Four jurisdictions move to CRS reporting in 2018
New HMRC guidance
Cases
K Vrang v HMRC
The Brain Disorders Research LP and N Hockin v HMRC
Minister Finansów v Posnania Investment SA
A Oy v Veronsaajien oikeudenvalvontayksikkö
Anglian Water Services v HMRC
HMRC v Elbrook (Cash and Carry)
One minute with
One minute with... Neela Chauhan
Ask an expert
Exiting shareholders in a tax efficient manner
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 manual changes: 26 April 2024
HMRC to engage on non-dom changes, while Labour considers investment incentive
Tax Administration and Maintenance Day details
Updated CIS guidance for non-UK businesses
HMRC focuses on IR35 cases
CASES
Read all
Hargreaves Property Holdings Ltd v HMRC
J Cooke v HMRC
Elphysic Ltd and others v HMRC
Other cases that caught our eye: 26 April 2024
BlackRock Holdco 5 LLC 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
Salaried LLP members: where are we now?