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Home
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1421
Home
Issue
1421
Issue 1421
13 November, 2018
Analysis
The UK’s proposed digital services tax
Finance Bill 2019: something old, something new…
The provision of information by one tax authority to another: lessons from Chatfield
Tax and the City review for November 2018
VAT and the evolution of the special investment fund
In brief
Financial transaction tax proposal to be reborn?
Finance Bill 2019: overseas investors in UK real estate through offshore property unit trusts
Vigne vindicated: preconceptions prohibited
Scotland’s new financial powers
News
Lords committee calls for halt to offshore time limits extension
Consultation on digital services tax
Non-residents’ gains on UK property and collective investment schemes
Consultation on the taxation of trusts
Repayment of pensions overseas transfer charge: draft regulations
Consultation on stamp duty and SDRT consideration rules
VAT reverse charge for building and construction services
EU temporary VAT reverse charge extended to 2022
Commission starts proceedings against Isle of Man VAT treatment of aircraft
UK VAT gap
HMRC increases yields through ADR
Tax treaty with Japan updated for MLI
Controls on cash entering or leaving the EU
Finance Bill 2019: second reading
HMRC writes to businesses in MTD pilot
GAAR advisory panel issues two new opinions
Consultation on harmonising amendments to tax returns
CIOT creates Brexit webpage
New HMRC guidance
Cases
In the matter of Unilever and in the matter of the Companies Act 2006
A Banks v HMRC
V M Gadhavi and others v HMRC
A McCashin v HMRC
C&D Foods Acquisition ApS v Skatteministeriet
One minute with
One minute with... Andrew Howard
Reports
Finance Bill 2019: something old, something new…
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: 19 April 2024
Labour’s tax panel to focus on administration
CIOT warns on FHL abolition
Reaction to Labour’s non-dom proposals
Tax credits threshold error corrected
CASES
Read all
BlackRock Holdco 5 LLC v HMRC
McCann Media Ltd v HMRC
HMRC v Innovative Bites Ltd
Other cases that caught our eye: 19 April 2024
HMRC v R Sehgal and another
IN BRIEF
Read all
EU watch: last steps before the new Commission
Labour’s non-dom proposals
Winding down offshore property structures
Discovery assessments and Hague: too vague?
Self’s assessment: Budget changes to the HICBC
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?