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HMRC POWERS


 
© Reed Elsevier (UK) Ltd 2008
 

Richard Clarke, Director in PricewaterhouseCoopers' LLP Tax Investigations practice, looks at current developments of relevance to practitioners who specialise in dealing with HMRC enquiries

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

David F Williams of KPMG's Tax Business School® considers how corporate social responsibility principles apply in the area of taxation

Nicholas Bowen, Doughty Street Chambers, explains and examines the implications of the Court of Appeal's judgment in Neil Martin Ltd v HMRC. He argued the case for the company before the Court of Appeal

Mathew Oliver, Tax Partner, and Ingrid Toth, Tax Associate, Bird & Bird, consider the changes to the deduction of tax at source rules for royalties

Steve Edge of Slaughter and May assesses progress during Labour's tenure of office in the great tax reform project

John O'Donnell, Director of Indirect Tax Investigations at Chiltern (now part of BDO Stoy Hayward LLP), updates us on the recent European Court of Justice decision in Teleos

Richard Clarke, Director in PricewaterhouseCoopers' LLP Tax Investigations practice, looks at current developments that affect HMRC's enquiries into claims to non-residence and non-domicile

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