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PRIVATE CLIENT TAXES


Robin Williamson reports on the 2006 Tax Faculty Residential Conference held on 30 June and 1 July

Now that the Court of Appeal decision in this case has become final, John Carrell, of Farrer & Co, considers the lessons for those administering offshore companies

David Blumenthal, Tax Partner, Dewey Ballantine, describes the anti-avoidance rules on both sides of the Atlantic

Mark Schofield, Tax Partner, and Eric Peden, Tax Senior Manager, both of PricewaterhouseCoopers LLP in London discuss limitation on benefits and treaty qualification rules under the UK/US tax treaty

Alan Dolton, editor of Tolley's Tax Cases, continues our coverage of Standing Committee A's consideration of the Finance Bill

Anneli Collins, UK Tax Partner, and Jim Sams, US Seconded Partner, KPMG in the UK, highlight some of the principal issues faced by a UK group doing deals in the US

Mark Penney, Tax Partner, and Thomas Dick, US Tax Director, KPMG in the UK, discuss the application of the UK/US treaty to hybrid entities

Martin Barrow, US manager, KPMG in the UK, and Elliott Gingell, UK senior manager, KPMG in the US, outline the practical considerations surrounding inbound investments to the UK

Alan Dolton, Editor of Tolley's Tax Cases, continues our coverage of Standing Committee A's consideration of the Finance Bill

Alasdair Friend, Senior Associate in Baker & McKenzie LLP's Employee Benefits Group, looks at some of the changes which have been made to this year's Form 42

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