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TRANSACTIONAL TAX


Kiki Stannard, Tax Director at Smith & Williamson, the accountancy and investment management group, explains the issues surrounding executive share incentives

Continuing our series of basic informative articles and our insolvency series, Philip Ridgway, Barrister, in the second of what has now become three articles, discusses how insolvency law interacts with a tax adviser

Card image David Clayton Matthew Bess John Whiting CBE

John Whiting, David Clayton and Matthew Bess of PricewaterhouseCoopers LLP discuss how best to meet the tax information needs of your organisation's stakeholders

Continuing our series of basic informative articles, Caroline Austin, Tax Partner, and Sue Harrison, Tax Manager, KPMG LLP, look at some of the main tax issues when UK-resident companies merge business interests

Allan Cinnamon, International Tax Consultant, BDO Stoy Hayward, continues his diary by examining the complex issues that can surround the seemingly straightforward incorporation of a foreign branch

Steven Bone and Martin Wilson of The Capital Allowances Partnership LLP comment on the latest proposals for changes to capital allowances on fixtures

Continuing our series of basic informative articles, Jane Feeney, Solicitor, Mayer, Brown, Rowe & Maw LLP writes on the tax treatment of surrenders and assignments of leases

Jo Myers and Ken Almand, both Senior Consultants on Ernst &Young's International Tax Services team, review the proposals for restricting interest deductions in the Foreign Profits of Companies discussion document

In the first of a series of occasional articles, Pete Miller, of Ernst & Young's Reorganisations Competency Group, writes about some recent tax cases that have taken his interest. This time the theme is capital gains tax

Andrew Green, partner, Davis Langdon LLP, reviews the current consultation on capital allowances

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