Latest Thinking, Market Recognition, Straight to the Point, U.K. Tax Best Corporate Tax Practice 2019
Entrepreneur’s Relief, Latest Thinking, Straight to the Point, U.K. Tax Entrepreneurs’ Relief – FA 2019 Changes Contributor(s) Oliver Walker Eithne Bloice-Sanders
HMRC, Latest Thinking, Restructuring, Straight to the Point, U.K. Tax, Withholding New Tax Developments for Insolvency and Restructuring Deals Contributor(s) Oliver Walker Ellie Marques
Enterprise Management Incentives Schemes, EU State Aid, HMRC, Latest Thinking, Straight to the Point, U.K. Tax Enterprise Management Incentives (EMI) Schemes Contributor(s) Erica Rees
EU Directive, Exemption, Latest Thinking, Repatriation tax, Straight to the Point, U.K. Tax, Withholding CJEU Rulings – Bad News for Private Equity? Contributor(s) Oliver Walker Erica Rees
HMRC, Reform, Straight to the Point, U.K. Tax Changing the Insolvency Waterfall – HMRC to Become a Preferential Creditor Again Contributor(s) Adam Plainer Mark Lawford
Digital Services Tax, Entrepreneur’s Relief, Income Tax, IR35, SDLT, Straight to the Point, U.K. Tax Autumn Budget 2018 Contributor(s) Oliver Walker
Exemption, HMRC, Interest, QPP Exemption, Straight to the Point, U.K. Tax, Withholding Growing Investment: How the New QPP Exemption Will Simplify Processes and Encourage Debt Investment into the UK Contributor(s) Stuart Pibworth
Anti-hybrid, Debt, M&A / Cross-Border, Restructuring, Straight to the Point, U.K. Tax, Waivers Debt Waivers in Cross-border Restructuring: Problems With the UK’s Anti-hybrid Legislation
Corporation Tax, Enterprise Management Incentives Schemes, Entrepreneur’s Relief, HMRC, Ordinary Share Capital, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax Ordinary share capital: HMRC shares its views Contributor(s) Stuart Pibworth
Double Taxation Treaty, DTT, HMRC, Interest, Procedure, Straight to the Point, U.K. Tax The other (D)TT Contributor(s) Stuart Pibworth
Corporation Tax, HMRC, Hybrid, Straight to the Point, U.K. Tax Tales of the Unexpected: The Long Arm of the UK Hybrid rules Contributor(s) Stuart Pibworth
Ardmore, Court of Appeal, Double Tax Treaty, HMRC, Income Tax, Interest, Straight to the Point, U.K. Tax, Withholding The Ardmore Ruling: Between a Rock and a Difficult Place Contributor(s) Oliver Walker Stuart Pibworth
Capital Gains, Corporation Tax, Entrepreneur’s Relief, Penalties, Property, Straight to the Point, U.K. Tax, VAT Summer in the City: Draft UK Tax Legislation Published on 6 July 2018 Contributor(s) Stuart Pibworth
Corporation Tax, Investments, M&A / Cross-Border, Repatriation tax, Straight to the Point, Tax Reforms, U.K. Tax, US US Tax Reforms: Impact on Cross-border Investments Contributor(s) Oliver Walker
Base Erosion, MLI, OECD, Profit Shifting, Straight to the Point, U.K. Tax Multilateral Thinking: UK Joins MLI Club Contributor(s) Erica Rees
Ardmore, Court of Appeal, Double Tax Treaty, EU Directive, HMRC, Income Tax, Interest, Straight to the Point, U.K. Tax, Withholding Ardmore Contributor(s) Stuart Pibworth
Market Recognition, Straight to the Point, U.K. Tax European Private Equity Tax Deal of the Year 2018
Enterprise Management Incentives Schemes, EU State Aid, HMRC, Straight to the Point, U.K. Tax European Commission Renews EU State Aid Approval of Enterprise Management Incentive (“EMI”) Options Contributor(s) Erica Rees
Consultation, Corporation Tax, Straight to the Point, U.K. Tax, VAT Spring Statement 2018 Contributor(s) Oliver Walker
Consultation, Employment, Employment Status, HMRC, Individual, Matthew Taylor Review, National Insurance Contributions, NIC, Reform, Straight to the Point, U.K. Tax Employment Status Contributor(s) Oliver Walker
Beneficial Ownership, Reform, Straight to the Point, U.K. Tax Beneficial Ownership Register Contributor(s) Oliver Walker
Capital Gains, HMRC, non-QCB, QCB, Straight to the Point, U.K. Tax QCBs and the Limits of Purposive Interpretation Contributor(s) Oliver Walker
Claims, Covenant, Dispute, SPA, Straight to the Point, U.K. Tax, Warranty Take Notice of the Notice Provisions! Contributor(s) Oliver Walker
Claims, Indemnity, Insurance, Straight to the Point, Transaction, U.K. Tax, Warranty Industry Voice: Getting to Grips with Tax Insurance Contributor(s) Oliver Walker
Capital Gains, Disposal, Exemption, QII, Reform, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax Section 27: Substantial Shareholding Exemption; Section 28: Substantial Shareholding Exemption: Institutional Investors Contributor(s) Oliver Walker Stuart Pibworth
Capital Gains, Disposal, Dispute, Entrepreneur’s Relief, ER, HMRC, Interpretation, Investigation, Ordinary Share Capital, Purposive, Straight to the Point, Structuring, U.K. Tax Ordinary Share Capital: Clarity in Relation to Dividend Rights Contributor(s) Oliver Walker Stuart Pibworth
Criminal Liability, Extra-territoriality, Failure to Prevent, Offence, Penalties, Straight to the Point, Tax Evasion, U.K. Tax Failure to Prevent the Facilitation of Tax Evasion Rules now in Force Contributor(s) Stuart Pibworth
Conversion, Debt, Individual, Interpretation, non-QCB, On the Move – Tax Podcasts on U.K. Legal Issues, Purposive, QCB, Reorganisation, Straight to the Point, U.K. Tax Weil on the Move – Episode 2 – QCB or Non-QCB: That is the Question Contributor(s) Oliver Walker Stuart Pibworth
Demerger, Section 77A, Stamp Duty, Straight to the Point, Structuring, Transaction Tax, U.K. Tax Demergers – Breaking Up is Never Easy Contributor(s) Oliver Walker Erica Rees Ellie Marques
Conversion, Debt, Individual, Interpretation, non-QCB, Purposive, QCB, Reorganisation, Straight to the Point, U.K. Tax Two Types of Bond Contributor(s) Oliver Walker Stuart Pibworth
Market Recognition, Straight to the Point, U.K. Tax European Private Equity Tax Deal of the Year 2017
Market Recognition, Straight to the Point, U.K. Tax European Financial Services Tax Deal of the Year 2017
Abuse, Enabler, Interest, Penalties, Straight to the Point, Tax Avoidance, U.K. Tax Penalties for Enabling Tax Avoidance Contributor(s) Oliver Walker
Capital Gains, Disposal, Exemption, On the Move – Tax Podcasts on U.K. Legal Issues, QII, Reform, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax Weil on the Move – Episode 1 – The New SSE: Good for Geese and Ganders? Contributor(s) Oliver Walker Stuart Pibworth
Criminal Liability, Extra-territoriality, Failure to Prevent, Offence, Penalties, Straight to the Point, Tax Evasion, U.K. Tax Failing to Prevent Tax Evasion Contributor(s) Oliver Walker
Capital Gains, Disposal, Exemption, QII, Reform, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax Reform of the Substantial Shareholdings Exemption Contributor(s) Oliver Walker Stuart Pibworth
Capital Gains, Disposal, Exemption, QII, Reform, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax Reforming the Substantial Shareholdings Exemption: Keeping Up with the Joneses Contributor(s) Oliver Walker Stuart Pibworth
BEPS, Brexit, Consultation, DTTP, EBITDA, Losses, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax, Withholding Perspectives: A Review of Current Legal Issues and Trends Looking Ahead to 2017 Contributor(s) Oliver Walker
Employment, Income Tax, NIC, PILON, Straight to the Point, Termination Payments, U.K. Tax Perspectives: A Review of Current Legal Issues and Trends Autumn/Winter 2015-2016 Contributor(s) Oliver Walker
Brexit, Claims, Covenant, Exclusion, Insurance, Market, Procedure, Straight to the Point, Tax Deed, U.K. Tax A New Creed for the Tax Deed: The Impact of Market Trends Contributor(s) Oliver Walker Stuart Pibworth
Capital Gains, Disposal, Dispute, Entrepreneur’s Relief, ER, HMRC, Interpretation, Investigation, Ordinary Share Capital, Straight to the Point, Structuring, U.K. Tax Ordinary Share Capital: Can a Negative Prove a Positive? Contributor(s) Oliver Walker Stuart Pibworth
BEPS, Brexit, Carried Interest, DOTAS, DTTP, Hybrid, Interest, Reform, Secondary Adjustment, Straight to the Point, Substantial Shareholding Exemption, Tax Evasion, Tax Strategy, Termination Payments, U.K. Tax, VAT UK Tax Update: It’s Not All About Brexit! Contributor(s) Oliver Walker
Market Recognition, Straight to the Point, U.K. Tax European Media and Entertainment Tax Deal of the Year 2016
Criminal Liability, Extra-territoriality, Failure to Prevent, Offence, Penalties, Straight to the Point, Tax Evasion, U.K. Tax Corporate Offence of Failing to Prevent Tax Evasion: Accelerated Implementation Plans Contributor(s) Oliver Walker
ATED, Land, Property, SDLT, Straight to the Point, U.K. Tax Perspectives: A Review of Current Legal Issues and Trends Spring/Summer 2015 Contributor(s) Oliver Walker
Compound Interest, Dispute, Fleming, HMRC, Investigation, Restitution, Straight to the Point, U.K. Tax, VAT Overpaid Tax: Another Win for Compound Interest Contributor(s) Oliver Walker
Market Recognition, Straight to the Point, U.K. Tax European Telecommunications and Technology Tax Deal of the Year 2015
Market Recognition, Straight to the Point, U.K. Tax European Private Equity Tax Deal of the Year 2015
Indemnity, Insurance, Straight to the Point, U.K. Tax, Warranty Inside Warranty & Indemnity Contributor(s) Oliver Walker Erica Rees
Group, Straight to the Point, Supply, Taxable Person, U.K. Tax, VAT VAT and the Taxable Person: A New Identity Crisis Contributor(s) Oliver Walker
Inversion, IRS, Straight to the Point, US Perspectives: A Review of Current Legal Issues and Trends and Looking Ahead to 2015 Contributor(s) Oliver Walker
Covenant, Indemnities, M&A / Cross-Border, Protection, Straight to the Point, Tax Deed, Transaction, Warranties M&A Tax Protections UK and US Market Practice Contributor(s) Oliver Walker Erica Rees
Compound Interest, Dispute, Fleming, HMRC, Investigation, Restitution, Straight to the Point, U.K. Tax, VAT Overpaid Tax: Claiming for Compound Interest Contributor(s) Oliver Walker
Employee Shareholder, Employee Shareholder Shares, Equity, ESS, Incentive, Straight to the Point, U.K. Tax Perspectives: A Review of Current Legal Issues and Trends Spring 2014 Contributor(s) Oliver Walker