Heather Self, partner in the International Tax Services Group at Grant Thornton UK LLP, gives us her thoughts on what is and is not acceptable tax avoidance
In the second of two Back to Basic articles on private equity, Michael Bell and Vicki Carr, Tax Practice, Osborne Clarke, discuss the main tax issues for the private equity house and lenders
Continuing our series of basic informative articles, in the first of two articles on private equity, Michael Bell and Vicki Carr, Tax Practice, Osborne Clarke, look at the tax issues for managers
Michael Devereux summarises some of the main elements of the Oxford University Centre for Business Taxation's report on the deductibility of interest for UK corporation tax
Alan Thomson, Senior Charities Tax Consultant at Chantrey Vellacott DFK, takes this opportunity to look at the interaction of HMRC and the Charity Commission in relation to the disposal of charity land and buildings
Anthony Davis, tax partner in Gide Loyrette Nouel's London office, takes a look at the new regulations and HMRC guidance on the taxation of securitisation companies
Continuing our series of basic informative articles, Steven Bone and Martin Wilson, of the The Capital Allowances Partnership LLP, discuss common misconceptions about plant & machinery capital allowances
Michael Ingle of Baker & McKenzie LLP's London Employee Benefits Group considers HMRC's increasingly aggressive approach to the use of dual contract arrangements
Malcolm Gunn, consultant with Squire Sanders & Dempsey, discusses the valuation of jointly held properties
Richard Clarke, tax director at PricewaterhouseCoopers LLP, reviews HMRC's annual report for 2005/06