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Tax Bites: Australian Tax Podcast Series
Tax in Australia
Global enterprises, corporations and businesses functioning or actively trading in Australia along with its taxpayers, have to comply within a dynamic …
High Court offers sympathy but no remedy to trustee facing unexpected tax bill
In Mackay v Wesley [2020] EWHC 1215 (Ch), the Claimant, who was instructed by her father to become a trustee of a family trust as part of a tax scheme, …
Tax Treaty Interpretation: The Limits of Fiction
In Fowler v HMRC [2020] UKSC 22, the Supreme Court determined that a statutory fiction created by a deeming provision of UK tax law did not affect how …
Court of Appeal considers corporation tax deductibility of ‘derecognised’ derivative contracts
In The Union Castle Mail Steamship Company Ltd v HMRC & Ors [2020] EWCA Civ 547, the Court of Appeal considered whether corporation tax relief was …
HSF TRUST COMPANIES SURVEY - TAX INSIGHTS
We asked trust companies questions about the most significant risk and compliance issues they face. The respondents identified tax compliance issues as …
Rapid resolution of domicile disputes: be careful what you wish for
In Henkes v HMRC [2020] UKFTT 7645 (“Henkes”), the First-tier (Tax) Tribunal (“the Tribunal”) held that (a) it could (and would) determine the taxpayer’s …
The view from Brussels - Can the Backstop be Renegotiated?
Both candidates to be leader of the Conservative Party, and therefore to be UK Prime Minister, have vowed to renegotiate the Withdrawal Agreement and in …
Tax experts successfully resolve Pala's dispute with the ATO
Herbert Smith Freehills has successfully acted for Swiss-based Pala Investments and resolved its A$34 million dispute with the Australian Taxation Office …
Showing 9 out of 9 results