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Lockdown has seemingly given people a lot of time to think about their financial and tax plans.   Despite the relatively good weather we have had for most of our 
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EU Law & UK Tax – A ‘High Level’ Analysis Introduction This note is a ‘high level’ analysis of the impact of EU law on the UK tax system and 
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What is a remittance? Non-UK domiciled individuals have the ability to claim the remittance basis which means that their overseas income or gains are not subject to UK tax if 
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The UK ORIP (Offshore Receipts in respect of Intangible Property) tax regime The ORIP regime came in to effect on 6 April 2019 with targeted anti-avoidance provisions that apply to 
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Digital Services Tax Introduction It was back in Autumn Budget 2018 that ex-chancellor Phillip Hammond announced that the UK would take unilateral action to introduce a Digital Services Tax. With 
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Protecting your taxes in Insolvency Protecting your taxes in insolvency – Current position At present, HMRC is an ordinary creditor ranking below preferential and secured creditors (but above the shareholder 
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International & Offshore Tax Advice for UK Businesses – Introduction As is the case for individuals, businesses have a global outlook and many UK based businesses have customers and interests 
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Profit Fragmentation Rules Introduction – Profit Fragmentation Rules This has been billed as the new Diverted Profits Tax (“DPT”) for individuals, partners and SMEs. As such, covering the gaps in 
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EU tax avoidance directive – DAC6 – HMRC, Hallmarks, CRS & MDR Background Both the Panama & Paradise Papers have acted as a shot in the arm for those calling 
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Luxembourg is the first country to officially introduce reporting requirements for Luxembourg companies who transact with jurisdictions designated by the European Union as ‘non-cooperative’ for tax purposes. The measures, which 
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