Richard Collier-Keywood, UK Head of Tax at PricewaterhouseCoopers, provides further thoughts on legal professional privilege as it applies to the new tax avoidance disclosure regime
Gordon Keenay, Deputy Head of KPMG's Stamp Taxes Group, gives a personal reaction to the latest developments in policy-making based on his experience in both public and private sectors
Richard Cory, Professional Support Lawyer at Clifford Chance, gives us his thoughts on what the penalties for non-compliance with the new disclosure rules might be
Hartley Foster, Head of Tax Litigation, and Aileen Barry, Director, National Tax Investigations, DLA LLP comment on the direct tax and VAT schemes disclosure regime in Finance Act 20041
James Bullock and Jason Collins of McGrigors, bring us up-to-date on how legislation in response to 11 September impacts on tax
Richard F Clarke of PricewaterhouseCoopers looks at recent events in the world of tax investigations
This is the first of a series of articles in which Richard Hall and Stephen Callahan of KPMG Tax Investigations will address reporting for tax in the context of Section 404 of the Sarbanes-Oxley Act
Andrew Flint sees a way of cutting Revenue bureaucracy
Patrick Cannon, barrister at 24 Old Buildings, introduces this special SDLT edition for 2004
Simon Swann, solicitor at Ashurst, reviews some of the changes made to the SDLT regime in 2004 in an attempt to curb avoidance