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BUSINESS
Enhancing UK tax policy: how to stimulate business investment and economic growth
Donald Simpson
Donald Simpson reports the view from the 100 Group.
Other cases that caught our eye: 13 September 2024
Publishing UT appeal decisions: Historically, decisions by the Upper Tribunal on applications for permission to appeal against decisions of the FTT have not been published. This practice has recently changed following a Practice Note issued by the...
Ask an expert: Will a virtual server give rise to a taxable presence in the UK?
Christopher Eames
A server physically located in the UK cannot give a person a permanent establishment in the UK. Christopher Eames (Mishcon de Reya) considers a real life scenario which tests the limits of that principle.
Qubic Advisory Services Ltd v HMRC
The VAT benefits of having clear contractual terms.
McCann Media Ltd v HMRC
Taxpayer’s appeal against FTT IR35 appeal unsuccessful.
N Barklem v HMRC
High Court dismisses claim for declaratory relief in relation to failed film partnership scheme
F Delaney v HMRC
Preparatory steps insufficient to crystalise disposal for CGT purposes
B Niasse v HMRC
Footballer’s agent fees not an
allowable deduction.
M Stolkin and others v HMRC
Company was not trading so entrepreneurs’ relief not available.
HMRC v Hippodrome Casino Ltd
Dual economic use of premises made floorspace partial exemption calculation unsuitable.
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EDITOR'S PICK
The UK’s tax certainty problem
Jenny Batchelor
,
Ahmed Mobasshir
1 /7
HMRC’s status in Part 26A restructuring plans: the High Court decision in Waldorf
Alan Rafferty
,
Jade Du Berry
,
Ollie Winters
2 /7
Ask an expert: Dividend planning under the new close company reporting regime
Nick Wright
3 /7
Loopholes and tax avoidance
Kyle Rainsford
4 /7
Spare us the cUTTer
Nick Thornton
5 /7
PGMOL: where the FTT decision may be vulnerable on appeal
Rebecca Seeley Harris
6 /7
Muller: notional companies and real-world transactions
Ashley Greenbank
7 /7
The UK’s tax certainty problem
Jenny Batchelor
,
Ahmed Mobasshir
HMRC’s status in Part 26A restructuring plans: the High Court decision in Waldorf
Alan Rafferty
,
Jade Du Berry
Ask an expert: Dividend planning under the new close company reporting regime
Nick Wright
Loopholes and tax avoidance
Kyle Rainsford
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
NEWS
Read all
HMRC update Transformation Roadmap for digital-first tax system
Taxation (Energy and Vehicles) Bill: Lords stages
Horizon family payments to be exempt from tax
CGT: gilt-edged securities list updated
Customs guidance round-up
CASES
Read all
HMRC v BlueCrest Capital Management (UK) LLP
Compound Photonics Group Ltd v HMRC
Other cases that caught our eye: 10 July 2026
Swiss Centre Ltd v HMRC
L Henry v HMRC
IN BRIEF
Read all
Directors’ liability: tax schemes
BlueCrest: the impact for asset managers
When Ramsay does not rescue HMRC
Tax Update 2026: Plans to reform the income tax payment regime: a significant acceleration of ITSA tax liabilities
Tax Update 2026: Modernising the distributions framework: familiar routes for extracting value or reorganising companies may change
MOST READ
Read all
Consultation tracker
HMRC confirm transitional approach to Pillar Two filing penalties
HFFX: the widening reach of miscellaneous income
Tax Update 2026: Modernising the distributions framework: familiar routes for extracting value or reorganising companies may change
HMRC manual changes: 10 July 2026