Brexit – Moving beyond simple slogans
Introduction
Untypical of a British Summer, the Government was (apparently) very busy with a stream of publications and position papers relating to Brexit.
Untypical of a British Summer, the Government was (apparently) very busy with a stream of publications and position papers relating to Brexit.
Development Securities (No 9) Ltd and others v HMRC [2017] UKFTT 565 (14 July 2017), involved the determination of the
The Chancellor had a difficult path to tread in putting together his first Autumn Budget.
We have known that the OECD’s Country by Country Reporting (CbCR) has been on the horizon for a few years now, but the first deadline is rapidly approaching and companies still have further work to
In November’s Technical Newsdesk we highlighted that, following new anti-money laundering legislation, most trusts are now required to retain a written record of their beneficial owners.
Legislation introduced in June 2017 requires most trusts to retain a written record of their beneficial owners.
One of the most amazing inventions in recent years is the digital platform. The purpose of the platform is to connect two parties – typically sellers and buyers of services and goods.
Transfer pricing is widely regarded as one of the most significant and complex areas of tax risk affecting multinational groups.
The extensive Treasury consultation ‘Financing growth in innovative firms’ considers the lack of effective supply of patient capital, current interventions and potential solutions.
In response to the Final Report on Action 2 of the OECD Base Erosion and Profit Shifting (BEPS) project, the UK introduced domestic anti-avoidance legislation on hybrid mismatche