Andrew Watt, Managing Director, Tax Disputes and Investigations, Alvarez & Marsal Taxand UK LLP, looks at HMRC's recent strategy on gathering information on offshore arrangements
Alan Buckett, Head of VAT Services at DSH, reviews the joint VAT conference by Essex Court Chambers and Pump Court Tax Chambers on 6 March in London
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
Richard Clarke, director in PricewaterhouseCoopers LLP's tax investigations practice, reviews the implications of a spate of IR35 cases
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
Keith M Gordon, Barrister, takes a closer look at HMRC's power to raise discovery assessments and at the restrictions that might apply in the corporation tax self-assessment rules
Mark Whitehouse, Tax Litigation, Reynolds Porter Chamberlain LLP looks at the implications of the Condé Nast decision for EU direct tax claims against HMRC
Adrian Windsor, Director, and Will More-King, Senior Manager, PricewaterhouseCoopers LLP suggest some practical approaches to tax reporting
Hartley Foster, Partner, DLA Piper UK LLP, adds his views to the debate on the reform of the tax tribunals