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Thinking - Blog

Tribunal finds that deferred shares are ordinary shares for the purposes of entrepreneurs' relief

Published on 28 Apr 2016.

In Alan Castledine v HMRC [2016] UKFTT 145, the First-tier Tribunal (FTT) dismissed Mr Castledine's appeal and found that deferred shares qualified as ordinary shares for the purposes of entrepreneurs' relief.

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Thinking - Publication

VAT update - April 2016

Published on 28 Apr 2016.

On 7 April 2016, the European Commission adopted a Communication on an Action Plan on VAT, which sets out the first steps the Commission intends to take with the aim of creating a single EU VAT area.

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Thinking - Blog

Review letter from HMRC should be read as cancelling discovery assessment

Published on 21 Apr 2016.

In Easinghall Limited v HMRC [2016] UKUT 105 (TCC), the Upper Tribunal (UT) has confirmed that where an agreement has been reached with HMRC under section 54, Taxes Management Act 1970 (TMA 1970), it cannot commence an enquiry or issue a discovery assessment unless they concern an issue which was not the subject of the agreement.

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Thinking - Blog

Tribunal rules HMRC's enquiry invalid

Published on 15 Apr 2016.

In Revell v HMRC [2016] UKFTT 97, the First-tier Tribunal (FTT) held that a purported enquiry by HMRC into an unsolicited tax return was invalid and allowed the taxpayer's appeal.

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Thinking - Publication

Offshore tax evasion

Published on 11 Apr 2016.

The “Panama Papers”

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Thinking - Blog

Businesses need to ensure that they do not unwittingly facilitate tax evasion

Published on 07 Apr 2016. By Adam Craggs, Partner

The Panamanian law firm Mossack Fonesca and the so called 'Panama Papers' have dominated headlines in recent days.

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Thinking - Publication

Tax update - April 2016

Published on 04 Apr 2016.

On 1 February 2016, HMRC took the unusual step of publishing draft regulations through the CIOT (rather than its own) website.

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Thinking - Publication

VAT update March 2016

Published on 31 Mar 2016.

Next steps following the change to the reduced rate of VAT for energy saving materials

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Thinking - Blog

Supreme Court considers the Ramsay principle in UBS and DBG Services

Published on 30 Mar 2016.

In UBS AG v HMRC and DB Group Services (UK) Ltd v HMRC [2016] UKSC 13, two cases which were heard together, the Supreme Court found in favour of HMRC by applying the so-called Ramsay principle[1].

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Thinking - Blog

Court of Appeal confirms that HMRC must comply with rules and directions issued by the tax tribunals

Published on 23 Mar 2016.

The following is based on an article first published in Tax Journal on 8 March 2016.

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Thinking - Blog

High court grants summary judgment against HMRC in FII Group Litigation claims

Published on 16 Mar 2016. By Alexis Armitage, Senior Associate

In the recent case of Evonik Degussa UK Holdings Ltd & Ors v Revenue And Customs [2016] EWHC 86 (Ch), the High Court granted a number of claimants summary judgment in relation to part of their claims in the Franked Investment Income Group Litigation (FII Group Litigation).

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Thinking - Blog

Tribunal quashes HMRC's decision to require security from the taxpayer

Published on 09 Mar 2016.

In Half Penny Accountants Ltd v HMRC [2016] UKFTT 45 (TC), the First-tier Tribunal (FTT) allowed the taxpayer's appeal and quashed HMRC's decision to require security from the taxpayer.

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Thinking - Publication

Tax update - March 2016

Published on 02 Mar 2016.

DOTAS: New regulations on hallmarks

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Thinking - Blog

Discovery Assessments and the 'hypothetical officer'

Published on 01 Mar 2016. By Adam Craggs, Partner

The following is taken from an article originally published in Tax Journal on 26 February 2016.

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Thinking - Blog

HMRC escapes strike out notwithstanding its unreasonable behaviour in failing to comply with directions issued by the Tribunal

Published on 26 Feb 2016.

In the recent case of PGPH Limited v HMRC [2016] UKFTT 46 (TC), the First-tier Tribunal (FTT) declined to exercise its powers under Rule 8 of the Tribunal Procedure (First-tier Tribunal) (Tax Chamber) Rules 2009 (the Rules), to strike out HMRC's case following HMRC's failure properly to comply with a direction issued by the FTT.

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Thinking - Publication

VAT update

Published on 25 Feb 2016.

Commission publishes an Action Plan on VAT

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Thinking - Blog

High Court dismisses judicial review challenge to HMRC's decision to restrict the availability of the Liechtenstein disclosure facility

Published on 18 Feb 2016. By Alexis Armitage, Senior Associate

In R (on the application of City Shoes Wholesale Ltd) v Revenue & Customs Commissioners [2016] EWHC 107 (Admin), the High Court rejected an application for judicial review of HMRC's refusal to grant the nine claimants, all of whom had operated employee benefit trusts (EBTs), the full benefits of the Liechtenstein disclosure facility (LDF).

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Thinking - Blog

Tribunal grants 'disclosure' application against HMRC

Published on 12 Feb 2016. By Adam Craggs, Partner

The recent case of Tower Bridge GP Ltd v HMRC [2016] UKFTT 054 (TC) concerned applications by Tower Bridge GP Limited (Tower Bridge) and HMRC to the First-tier Tribunal (FTT) for disclosure of information and documents from each other, pursuant to Rule 5 of the Tribunal Procedure (First-tier Tribunal) (Tax Chamber) Rules 2009 (the Tribunal Rules).

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Thinking - Blog

Tribunal allows taxpayer's appeal and confirms he was carrying on a trade on a commercial basis

Published on 05 Feb 2016.

In Akhtar Ali v HMRC [2016] UKFTT 8 (TC), the First-tier Tribunal (FTT), in allowing the taxpayer's appeal, has provided some helpful guidance on the factors to be taken into consideration when deciding whether activities comprise a trade which is commercial, for the purposes of section 66, Income Tax Act 2007 (ITA).

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Thinking - Publication

Tax update - February 2016

Published on 03 Feb 2016.

Increased SDLT for second homes and buy-to-let properties to apply to all

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Thinking - Blog

Court of Appeal confirms validity of third party information notices

Published on 29 Jan 2016. By Adam Craggs, Partner

In Derrin Brothers Properties Limited & Others v HMRC [2016] EWCA Civ 15, the Court of Appeal has dismissed the Appellants' appeal against the High Court's refusal to quash third party information notices issued by HMRC pursuant to paragraph 2, Schedule 36, Finance Act 2008 (the Notices).

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Thinking - Publication

Corporate tax update - Final quarter 2015

Published on 29 Jan 2016.

Welcome to the latest edition of our Corporate Tax Update, written by members of RPC’s tax team and published quarterly. In this edition we highlight some of the key tax developments of interest to UK corporates from the final quarter of 2015.

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Thinking - Publication

VAT update - January 2016

Published on 28 Jan 2016.

Brief 22/15 – VAT partial exemption changes concerning foreign branches

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Thinking - Publication

The new Union Customs Code

Published on 21 Jan 2016.

Key changes

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Thinking - Blog

HMRC fails to satisfy the Tribunal that residential property purchased for a pension fund was "taxable property"

Published on 20 Jan 2016.

In J & A Young (Leicester) Limited and Others v HMRC [2015] UKFTT 0638 (TC) TC 04771, the First-tier Tribunal (FTT), has allowed the taxpayers' appeals and held that certain residential property acquired by a self-administered occupational pension scheme was not "taxable property", for the purposes of Schedule 29A, Finance Act 2004 (FA 2004).

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Thinking - Blog

Tribunal allows company's appeal and confirms that the four-year time limit does not apply to corporation tax self-assessment returns

Published on 08 Jan 2016.

In Bloomsbury Verlag GmbH v HMRC [2015] UKFTT 660 (TC),the First-tier Tribunal (Tax and Chancery) (FTT) has held that the four-year time limit does not apply to corporation tax self-assessment returns and that trading losses can be carried forward even though they were not included in a return.

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Thinking - Blog

UK source of interest

Published on 30 Dec 2015. By Adam Craggs, Partner

In Ardmore Construction and Andrew Perrin v HMRC [2015] UKUT 633 (dual appeal), the Upper Tribunal (UT) dismissed the taxpayers appeals and confirmed that they had received UK source dividends on which UK income tax was deductible at source.

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Thinking - Blog

Upper Tribunal accepts reasonable excuse defence for late claim for repayment of tax

Published on 23 Dec 2015.

In Raftopoulou v HMRC [2015] UKUT 579, the Upper Tribunal (UT) has confirmed that a taxpayer can make a valid claim for repayment of overpaid tax ...

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Thinking - Publication

VAT update - December 2015

Published on 22 Dec 2015.

This is our last VAT update of 2015. RPC’s next VAT update will be published on 28 January 2016. We wish all our readers a Merry Christmas and a Happy New Year!

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Thinking - Blog

Hely-Hutchinson - taxpayer wins legitimate expectation judicial review

Published on 16 Dec 2015.

In R(oao Hely-Hutchinson) v HMRC [2015] EWHC 3261 (Admin) ...

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Thinking - Blog

Discovery assessments - HMRC fails to discharge burden of proof

Published on 10 Dec 2015. By Adam Craggs, Partner

The following is taken from an article originally published in Tax Journal

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Thinking - Publication

Tax update - December 2015

Published on 02 Dec 2015.

Small Business Research & Development Relief

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Thinking - Publication

VAT update - November 2015

Published on 26 Nov 2015.

HMRC publishes guidance on pension fund management costs

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Thinking - Blog

Special relief granted for excessive tax demand

Published on 25 Nov 2015. By Adam Craggs, Partner

In Montshiwa v HMRC[1], the First-Tier Tribunal (FTT) allowed the taxpayer's appeal against HMRC's decision not to grant 'special relief' under Schedule 1AB of the Taxes Management Act 1970 (TMA).

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Thinking - Publication

Corporate tax update

Published on 19 Nov 2015.

Welcome to the latest edition of our Corporate Tax Update, written by members of RPC’s tax team and published quarterly. In this edition we highlight some of the key tax developments of interest to UK corporates from the third quarter of 2015.

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Thinking - Blog

Tribunal allows private residence relief

Published on 19 Nov 2015.

In the recent case of Richard James Dutton-Foreshaw v HMRC[1], the First-tier Tribunal (FTT) held that Mr Dutton-Foreshaw (the Appellant) was entitled to claim principal private residence relief (PPR) under section 222 Taxation of Chargeable Gains Act 1992 (TCGA), despite only having lived in the property concerned for seven weeks.

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Thinking - Blog

Tribunal considers taxability of VAT repayments and interest

Published on 11 Nov 2015.

In Coin-a-drink Limited v HMRC [1], the First-tier Tribunal (FTT) considered the ability of HMRC to impose corporation tax on repayments of overpaid VAT and associated interest in the light of EU law.

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Thinking - Publication

Tax update - November 2015

Published on 05 Nov 2015.

HMRC turns the spotlight on contractor loan arrangements

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Thinking - Blog

Upper Tribunal confirms 'flip-flop II' scheme was effective

Published on 03 Nov 2015.

In Clive Bowring and Juliet Bowring v HMRC[1], the Upper Tribunal (UT) has allowed the taxpayers' appeal and concluded that a scheme, designed to reduce capital gains tax (CGT) due on capital payments made by a trust, was effective.

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Thinking - Publication

VAT update - October 2015

Published on 29 Oct 2015.

HMRC publishes responses to consultation on new penalties model

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Thinking - Blog

Taxpayer wins residency status appeal

Published on 23 Oct 2015. By Adam Craggs, Partner

In Mark Carey v HMRC*, the taxpayer successfully claimed share loss relief.

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Thinking - Blog

Tribunal considers Tower M Cashback and scope of 'conclusion' in closure notice

Published on 16 Oct 2015.

In B & K Lavery Property Trading Partnership v HMRC[1], the First-tier Tribunal (FTT) declined the Appellant's application to strike out HMRC's case and allowed HMRC's application to amend its statement of case.

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Thinking - Blog

Tribunal finds HMRC's information notice to be invalid

Published on 07 Oct 2015. By Adam Craggs, Partner

In PML Accounting Limited v HMRC[1], the First-tier Tribunal (FTT) has found that a taxpayer information notice was invalid, as HMRC should have issued a third party information notice.

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Thinking - Publication

Tax update - October 2015

Published on 01 Oct 2015.

Follower Notices and APNs – new Guidance issued by HMRC

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Thinking - Blog

Tribunal considers jurisdiction in relation to 'special relief' and allows taxpayer's appeal

Published on 30 Sep 2015.

In James Ronaldson Scott v HMRC[1], a case in which the taxpayer appealed HMRC's refusal to grant "special relief" under paragraph 3A, Schedule 1AB, Taxes Management Act 1970 (TMA 1970) ...

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Thinking - Publication

VAT update September 2015

Published on 23 Sep 2015.

Supreme Court to consider VAT “restitution” claims

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Thinking - Blog

Taxpayer succeeds in research and development claim

Published on 23 Sep 2015.

In Monitor Audio Ltd v HMRC[1], the First-tier Tribunal (FTT) has allowed the taxpayer's appeal, concluding that research and development (R&D) tax deductions were available to it under section 1044, Corporation Tax Act 2009 (CTA 2009).

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Thinking - Blog

Tribunal finds HMRC's actions unconscionable

Published on 16 Sep 2015.

In John Clark v HMRC[1], the First-tier Tribunal (FTT) has found that special relief, in terms of paragraph 3A, Schedule 1AB, Taxes Management Act 1970 (paragraph 3A), ought to have been granted to a taxpayer who suffered from serious learning difficulties.

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Thinking - Blog

Think long and hard before withdrawing your appeal

Published on 10 Sep 2015.

In Rolls Group & Others HMRC[1], the First-tier Tribunal (FTT) has refused to reinstate VAT appeals, pursuant to an application made under Rule 17(3) of the Tribunal Procedure (First-tier Tribunal) (Tax Chamber) Rules 2009 (the Rules), many months after withdrawal of their appeals.

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Thinking - Publication

Corporate tax update - Second quarter 2015

Published on 04 Sep 2015.

Welcome to the latest edition of our corporate tax update, written by members of RPC’s Tax team and published quarterly. In this edition we highlight some of the key tax developments of interest to UK corporates from the second quarter of 2015.

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