Offshore Companies & Non-UK Resident Property Companies: Owning Commercial & Residential Property… The Forthcoming Changes April 2020. Non-UK resident companies with UK property income are subject to income tax rather 
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Tax avoidance: Tech, telly and Treasury tax tension Ever since the start of the Industrial Revolution in 18th-century Britain, entrepreneurs and politicians alike have recognised that technology sells. Across more 
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Tax policy: What did the recent party conferences tell us about tax? Despite the frequency of the polls appearing in British media, the only test of opinion which really matters 
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April 2019 loan charge – ‘If you tolerate this… …your children will be next’ sang the Manic Street Preachers almost a decade ago. I don’t think they were singing about 
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2019 Loan Charge and Parliament: Retro-spectacle The question of whether something might be fair or not is usually highly subjective. There is, of course, an old cliché suggesting that anything’s 
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April 2019 loan charge: A practical guidance Introduction This is designed as a ‘practical guide’ to dealing with the April 2019 loan charge. We have made our views on this 
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Non UK resident property investors IHT General – Non UK resident property investors IHT As one might be aware, IHT is tax that is primarily focused on one’s domicile position rather 
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Non UK resident property investors capital gains tax (“NRCGT”) Introduction – Non UK resident property investors capital gains tax It was an enduring basic principle of UK CGT that it generally 
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Non UK property investors 3% SDLT additional rate Background – Non UK property investors 3% SDLT additional rate As announced at the Autumn Statement 2015, a Stamp Duty Land Tax (SDLT) 
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Non UK resident property investors and ATED Background – Non UK resident property investors and ATED As discussed in our article on the SDLT changes in this area, the Government used 
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