Disclosure of Tax Avoidance Schemes : HMRC v Root2
In the case of HMRC v Root2 Tax Ltd, the Upper Tribunal (UT) agreed with
In the case of HMRC v Root2 Tax Ltd, the Upper Tribunal (UT) agreed with
In the case of Nilebond Ltd v HMRC, Nilebond (N) managed a registered pension scheme
In the case of Hoopla Animation Ltd v HM Revenue and Customs (HMRC), Hoopla Animation
In the recent case of S & L Barnes Ltd v HMRC, Stuart Barnes, a
In the case of Davis vs HM Revenue and Customs (HMRC), Mr. Davis, a sole
The anticipated Creative Sector Tax Relief anti-abuse measures, announced in the Spring Budget, are set
The Court of Appeal has upheld a First-tier Tribunal decision finding that Jersey-incorporated subsidiaries of
The Barry Davies and Others v HMRC [2022] TC 8619 case highlights the importance of
Gary Lineker, a former England captain and striker, is embroiled in a staggering £4.9 million
For exceptional reasons, the First-tier Tribunal has cancelled a self-assessment late filing penalty. What can
The core of the appellants’ argument is that the various agreements, when properly analysed, show that the Deal Partners are making supplies to Free time, leading to an input tax credit in its hands.
Main residence relief (private residence relief) protects homeowners from any gains arising on their only
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