Skip to main content

Search results

1362 results ordered by

Thinking - Blog

Brown v InnovatorOne Plc – good news for advisers involved in tax mitigation structures

Published on 21 Sep 2012. By Adam Craggs, Partner

A recent judgment of the High Court in Andrew Brown and ors v InnovatorOne plc and Ors [2012] EWHC 1321 (Comm) is welcome news for professional advisers who may have acted for clients involved in the design, implementation or distribution of tax efficient arrangements.

Read more
Thinking - Blog

Information Commissioner investigates HMRC over whistleblower enquiry

Published on 21 Sep 2012. By Adam Craggs, Partner

An interesting article appeared in the Guardian newspaper (Thursday 7 June 2012) which reignites previous controversies, which we have commented upon, concerning ‘sweetheart deals’...

Read more
Thinking - Blog

Claim for overpaid VAT held not to be abusive

Published on 30 Aug 2012. By Adam Craggs, Partner

In St Martins Medical Services Limited v HMRC [2012] UK FTT 485 (TC), the First-tier Tribunal (‘FTT’) has recently allowed a claim for overpaid VAT made by a taxpayer,...

Read more
Thinking - Blog

Composite transaction fails

Published on 30 Jul 2012. By Adam Craggs, Partner

In HP Schofield v HMRC [2012] EWCA Civ 927, the Court of Appeal has recently dismissed an appeal made by a taxpayer (the test case for over two hundred appeals) in relation to a tax mitigation strategy designed by PricewaterhouseCoopers (‘PwC’), which was intended to assist the taxpayer in mitigating a capital gain that would otherwise become due.

Read more
Thinking - Blog

HMRC fails in its attempt to obtain disclosure of privileged documents

Published on 21 Jul 2012. By Adam Craggs, Partner

The important issue of disclosure of documents in the context of litigation before the First-tier Tribunal (Tax) (‘the FTT’) was recently considered in Peter A D Fisher, Stephen D Fisher and Anne P Fisher v HMRC [2012] UKFTT 335.

Read more
Thinking - Blog

Two wrongs do not make a right – criminal convictions and stolen data

Published on 19 Jul 2012. By Adam Craggs, Partner

On Friday 5 July 2012 HMRC announced that a wealthy property developer, who had failed to disclose a Swiss bank account to HMRC during a civil inquiry, had pleaded guilty to the serious charge of cheating the public revenue

Read more
Thinking - Blog

HMRC – Not enough staff and too much uncollected tax

Published on 29 May 2012. By Adam Craggs, Partner

The Public Accounts Committee of the House of Commons (‘the PAC’) has published its 87th report (HC Session 2010-12) on HMRC’s Compliance and Enforcement Programme.

Read more
Thinking - Blog

Eclipse Film Partners No 35 – To trade or not to trade, that is the question!

Published on 15 May 2012. By Adam Craggs, Partner

The First-tier Tribunal (Tax Chamber) ('FTT') has recently held in Eclipse Film Partners No 35 LLP v HMRC [2012] UKFTT 270 (TC),...

Read more
Thinking - Blog

Retrospective legislation: where are we now?

Published on 09 May 2012. By Adam Craggs, Partner

I commented last year on the important decision in Huitson, in which the Court of Appeal, hearing a joined appeal from two judicial review claims,...

Read more
Thinking - Blog

Tax tribunal prevents HMRC from broadening their attack on an SDLT return

Published on 30 Apr 2012. By Adam Craggs, Partner

The distinction between fixtures (which form part of the land) and chattels (which do not) can have significant consequences for stamp duty land tax ('SDLT') purposes.

Read more
Thinking - Blog

Another voyage of discovery by HMRC - hypothetical ignorance?

Published on 24 Apr 2012. By Adam Craggs, Partner

This month saw the release of yet another discovery assessment case: Sanderson v HMRC [2012] UKFTT 207 (TC).

Read more
Thinking - Blog

Taxpayers are entitled to organise their affairs so that the minimum amount of tax is paid!

Published on 02 Apr 2012. By Daniel Hemming, Partner

The recent decision of the First-tier Tax Tribunal ('FTT') in James Albert McLaughlin v The Commissioners for HM Revenue and Customs1, is a timely reminder that taxpayers are perfectly entitled to organise their affairs so that the minimum amount of tax is paid.

Read more
Thinking - Blog

HMRC have to play by the rules too!

Published on 26 Mar 2012.

The recent decision of the First-tier Tax Tribunal ('the Tribunal') in Furukawa Electric Europe Limited v Revenue & Customs Commissioners [2012] UKFTT 129 (TC) ('Furukawa'),...

Read more
Thinking - Blog

No discovery – HMRC fail before the First-Tier Tribunal

Published on 19 Mar 2012. By Adam Craggs, Partner

HMRC's ability to raise 'discovery' assessments under section 29 of the Taxes Management Act 1970 ('TMA'), is a topical issue at the moment and there have been a number of important cases in recent months (see our previous blog here of30/01/12).

Read more
Thinking - Blog

No more 'sweetheart' deals with the taxman?

Published on 12 Mar 2012. By Adam Craggs, Partner

HMRC have recently announced new governance arrangements for "significant tax disputes".

Read more
Thinking - Blog

HMRC run contrary arguments before the First-tier Tribunal!

Published on 05 Mar 2012. By Adam Craggs, Partner

In the recent case of Cobb v HMRC [2012] UK FTT 40 (TC), the First-tier Tribunal ('FTT') said that HMRC should be able to suspend all or part of a penalty imposed for a careless inaccuracy in a tax return of an individual...

Read more
Thinking - Blog

When is a document within a taxpayer's "possession or power"?

Published on 27 Feb 2012. By Daniel Hemming, Partner

HMRC have a range of powers available to them under Schedule 36 of the Finance Act 2008 ("Schedule 36") to require persons to produce documents and information and to inspect premises.

Read more
Thinking - Blog

Unknown Associates

Published on 13 Feb 2012.

How much evidence do you need to substantiate a claim for tax relief?

Read more
Thinking - Blog

A Voyage of Discovery: two recent Court of Appeal decisions

Published on 30 Jan 2012. By Daniel Hemming, Partner

In December of last year, two differently constituted panels of the Court of Appeal handed down important judgments on the discovery provisions contained in sections 29 and 30B Taxes Management Act 1970 ('TMA 1970').

Read more
Thinking - Blog

Ending legal aid for millionaire defendants

Published on 17 Jan 2012. By Adam Craggs, Partner

Readers may not be aware of an extraordinary anomaly in our criminal justice system which has led to a significant drain on the legal aid fund.

Read more
Thinking - Blog

Tribunal criticises HMRC's unreasonable behaviour and awards costs to the taxpayer

Published on 09 Jan 2012. By Adam Craggs, Partner

In Nicholas Deluca v HMRC (TC01422) the First-tier Tribunal (Sir Stephen Oliver QC) criticised HMRC's conduct and directed that they make a contribution of half the costs incurred by Mr Deluca in connection with an HMRC enquiry into his tax return and his subsequent appeal to the Tribunal.

Read more
Thinking - Blog

Public Accounts Committee Report – HMRC criticised for 'cosy' deals

Published on 21 Dec 2011. By Adam Craggs, Partner

The report of the Public Accounts Committee ('the Committee') into alleged 'sweetheart' deals reached by HMRC with some of the largest companies in the UK was published yesterday.

Read more
Thinking - Blog

Goldman Sachs, Whistleblowing and HMRC – the sorry saga continues!

Published on 19 Dec 2011. By Adam Craggs, Partner

Osita Mba is a solicitor working at HMRC's Solicitor's Office.

Read more
Thinking - Blog

HMRC criticised again over delay in issuing late filing penalties

Published on 16 Dec 2011. By Adam Craggs, Partner

Readers may recall that in a recent blog I commented on the case of Hok Limited v Revenue & Customs Commissioners (TC1286) .

Read more
Thinking - Blog

More Swiss controversy!

Published on 07 Dec 2011. By Adam Craggs, Partner

I commented on the UK/Swiss tax deal in my blog of 26 August 2011.

Read more
Thinking - Blog

General Anti-Avoidance Rule ('GAAR') – will the 'centre ground' of tax planning be safe?

Published on 02 Dec 2011. By Adam Craggs, Partner

On 21 November the final report of the GAAR Study Group ('the Group'), a committee of the tax world's 'great and the good', chaired by Graham Aaronson QC, was published.

Read more
Thinking - Blog

SHIPS 2 - victory for the taxpayer!

Published on 25 Nov 2011. By Adam Craggs, Partner

The Supreme Court has refused HMRC's application for permission to appeal against the Court of Appeal's decision in HMRC v Mayes [2011] EWCA CIV 407, a case involving tax arrangements marketed as "Ships 2".

Read more
Thinking - Blog

There's unreasonable, and there's wholly unreasonable!

Published on 21 Nov 2011.

When it comes to awarding legal costs, the Tribunal has often been viewed as an island of leniency, especially when compared to the strict regime which governs High Court litigation.

Read more
Thinking - Blog

The (Tax) League of Nations

Published on 14 Nov 2011.

This may not come as a huge surprise to tax and finance directors up and down the country, but the UK has continued its slide down the international league table of tax competitiveness, according to a new report from PWC.

Read more
Thinking - Blog

An arresting development

Published on 07 Nov 2011. By Adam Craggs, Partner

HMRC officers have arrested a tax advisor on the very day that he was due to give evidence before the Tax Tribunal on a capital gains tax issue.

Read more
Thinking - Blog

High Risk Avoidance Schemes – is another new regime really the way forward?

Published on 31 Oct 2011.

HMRC's consultation on "High Risk Tax Avoidance Schemes", which closed at the end of August, has attracted some heavyweight responses it seems.

Read more
Thinking - Blog

Gaines-Cooper – the end of the road for the taxpayer

Published on 25 Oct 2011. By Adam Craggs, Partner

The Supreme Court, by a majority of four to one, has dismissed both appeals in the jointly heard judicial review cases of R (Davies and another) v HMRC; R (Gaines-Cooper) v HMRC [2011] UKSC 47 on 19 October 2011.

Read more
Thinking - Blog

Is the net really closing on Swiss bank accounts?

Published on 21 Oct 2011. By Daniel Hemming, Partner

HMRC announced last week that they will shortly be writing to UK resident individuals and organisations holding bank accounts with HSBC in Geneva, using information obtained under a tax treaty last year.

Read more
Thinking - Blog

There is no escape - collecting cross border tax

Published on 17 Oct 2011.

On 16 March 2010 the EU introduced Council Directive 2010/24/EU which deals with the mutual assistance across EU member states for the recovery of tax claims.

Read more
Thinking - Blog

Personal liability for directors – No escape from the taxman

Published on 07 Oct 2011. By Adam Craggs, Partner

One of the criticisms that is often made of the UK's complex insolvency legislation is that it is too easy for the directors of a company to put it into liquidation or administration, 'dump' the company's debts and then effectively start the same business again under the guise of a new company.

Read more
Thinking - Blog

The Taxman vs. the Treasury Select Committee: round 2

Published on 03 Oct 2011. By Daniel Hemming, Partner

Following his first outing before the House of Commons' Treasury Select Committee in March, and the publication of the Committee's report in July (see my previous post), Dave Hartnett, the Permanent Secretary for Tax, returned on 12 September to answer further questions from MPs.

Read more
Thinking - Blog

When is a penalty unfair?

Published on 23 Sep 2011. By Adam Craggs, Partner

A recent tribunal case, Hok Limited v Revenue and Customs Commissioners (TC 1286) has found that HMRC did not act fairly and in good conscience where it had deliberately delayed sending out a penalty for the late filing of an employer's end of year returns until four months after the deadline had expired.

Read more
Thinking - Blog

HMRC opens its books to mortgage lenders

Published on 16 Sep 2011. By Daniel Hemming, Partner

Having been first announced in the March 2010 Budget and following a pilot, the mortgage verification scheme, a joint venture between HMRC, the Council of Mortgage Lenders and the Building Societies Association, was finally launched at the start of the month.

Read more
Thinking - Blog

SFO to request tax records

Published on 12 Sep 2011. By Daniel Hemming, Partner

The SFO warned last week that companies suspected of paying bribes to win work overseas may be forced to hand over their tax records, in the hope that these may yield evidence of such bribes.

Read more
Thinking - Blog

Is the tide turning? HMRC lose discovery assessment appeal

Published on 02 Sep 2011. By Daniel Hemming, Partner

Concern has been building for some time amongst taxpayers and their advisers about HMRC's apparently unfettered use of discovery assessments.

Read more
Thinking - Blog

Too easy? The UK's recent deal with the Swiss banks

Published on 26 Aug 2011. By Adam Craggs, Partner

The Swiss banking sector contributes 6.7% of the country's gross domestic product, almost 10% of tax revenues and provides the country with 142,000 skilled jobs.

Read more
Thinking - Blog

"Unacceptable" HMRC under fire from Treasury Select Committee

Published on 16 Aug 2011. By Daniel Hemming, Partner

The House of Commons' Treasury Select Committee (the "Committee") recently released its report entitled "Administration and effectiveness of HM Revenue and Customs" (the "Report").

Read more
Thinking - Blog

Going backwards? Retrospective legislation can bite!

Published on 10 Aug 2011. By Daniel Hemming, Partner

Retrospective legislation is a particularly hot topic at the moment.

Read more
Thinking - Blog

Above board, or backroom deals?

Published on 04 Aug 2011.

The National Audit Office ('NAO') has recently recommended (see HM Revenue & Customs 2010-11 Accounts) that HMRC should ensure that a clear separation should exist between the negotiation and approval of large tax settlements in order to maintain public confidence in the appropriateness of all such settlements.

Read more
Thinking - Blog

COP that! HMRC propose a new contractual disclosure facility

Published on 28 Jul 2011. By Daniel Hemming, Partner

On 20 July 2011, HMRC published a discussion document entitled: Civil Investigation of Fraud – Contractual Disclosure Facility.

Read more
Thinking - Blog

HMRC 'refresh' their litigation and settlement strategy

Published on 21 Jul 2011. By Adam Craggs, Partner

As tax practitioners will be aware, HMRC's Litigation and Settlement Strategy ('LSS') is the framework within which HMRC seeks to resolve tax disputes through civil procedures.

Read more
Thinking - Blog

New approaches to funding tax litigation

Published on 12 Jul 2011. By Adam Craggs, Partner

There are times when, however hard an advisor tries, a settlement with HMRC is simply not possible.

Read more
Thinking - Blog

Estate 4 Limited v HMRC – proactivity can achieve results!

Published on 04 Jul 2011. By Adam Craggs, Partner

We are often asked by advisors to assist them in closing down long-running enquiries by HMRC.

Read more
Thinking - Blog

RPC Practice Notes: guidance for the busy practitioner

Published on 04 Jul 2011. By Adam Craggs, Partner

In addition to regular updates on the latest tax news and case law developments, RPC Tax Take features Practice Notes written by specialist lawyers at RPC.

Read more
Thinking - Blog

Partnership residence – a rallying cry!

Published on 29 Jun 2011. By Daniel Hemming, Partner

An important decision of the First-tier Tribunal has been released in the case of Mark Higgins Rallying (a firm) v. Revenue & Customs [2011] UK FTT 340 (TC).

Read more

Stay connected and subscribe to our latest insights and views 

Subscribe Here