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DOUBLE TAX RELIEF


In the first of two articles, Robert Hartley and Greg Sinfield, of the Lovells Tax Disputes Practice, present the evidence of HMRC's changing relationship with large businesses

Simon Whitehead, partner, Dorsey & Whitney London, highlights the significance of the Advocate General's opinion in the Lidl Belgium case

Continuing his diary, Allan Cinnamon, International Tax Consultant, BDO Stoy Hayward, looks at the international tax aspects of a UK company acquiring a German group

In the first of two articles, Janet Paterson and Richard Holme, partners, Creaseys LLP, look at the draft legislation on residence and domicile and ask what it means for residence, domicile and the remittance basis of taxation

Chris Morgan, UK Head of KPMG Europe's International Corporate Tax Group, and Jonathan Bridges, Senior Manager, discuss the ECJ Columbus Containers case

Alan Dolton, Editor of Tolley's Tax Cases, reviews some of the leading direct tax decisions reached during 2007

Part 1: Tax consequences
 

Continuing our series of basic informative articles, David Nickson, Partner, KPMG LLP, outlines the background to partnership vehicles and taxation in the corporate context

Peter Maybrey and Peter Cussons, both PricewaterhouseCoopers LLP partners, take a look at the current status of discussions on the taxation of foreign profits of companies

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