Philip Ridgway, Temple Tax Chambers, examines the taxation of administrations of Limited Liability Partnerships
Stephen Edge, Slaughter & May, looks at the opportunity for HMRC and industry to make the CFC rules both EU-compliant and fair and stable
Cliona Murphy, Director, Deloitte & Touche LLP, examines the uncertainty which exists about stamp duty and SDRT on the transfer of partnership interests where UK securities are held in partnership structures
Chris Morgan, Partner and Head of International Corporate Tax at KPMG (UK) LLP in the UK, rounds up the latest developments in the international tax world
Continuing his diary, Allan Cinnamon, International Tax Consultant at BDO Stoy Hayward LLP, continues to advise a US group, this time on structuring its European acquisitions
Alastair Munro, Director, KPMG, and Ulrike Schoeman, Manager, KPMG, consider the proposed foreign dividend exemption in the Foreign Profits DiscDoc
Alan Dolton, Editor of Tolley's Tax Cases, summarises the Report Stage and Third Reading debates on the Finance Bill
Steven McGrady, Tax Partner, KPMG LLP, reports on the Oxford University Centre for Business Taxation's Breakfast Briefing held on 14 May 2008 on the subject of 'Who Really Pays Corporation Tax?'
Andy Treavett, senior associate at Lovells LLP, considers how the loan relationships regime can apply when a debt restructuring involves waivers, releases and connected debtors and creditors