Tax Disputes and Investigations – December 2025

by | Dec 19, 2025 | Newsletter

The 2025 Independent Loan Charge Review, and the government’s acceptance of pretty much all of the recommendations was published alongside the budget.  The outcome will be welcome news for many of those struggling with the resolution of enquiries into Disguised Remuneration arrangements.

A further settlement opportunity will now be made available to those impacted by the loan charge which will offer genuinely better settlement terms than is currently the case.  The opportunity includes –

  • Reductions in interest charges,
  • The removal of IHT charges,
  • A reduction in liability to take account of promoter’s fees which were likely to have been paid,
  • A commitment that no penalties will be charged,
  • No attempt to disallow Corporation Tax relief for contributions in employer settlements,
  • The removal of the ‘stacking’ effect of the loan charge which resulted in higher tax rates being charged than would otherwise have been the case,
  • A more flexible and realistic approach to payment terms than had previously been available.
Tax Disputes and Investigations – May 2026

Tax Disputes and Investigations – May 2026

In this newsletter, we look at some issues which practitioners frequently face when managing disputes with HMRC. What is the right approach to dealing with careless behaviour when professional advice has been taken? What happens if there is a lack of contemporaneous...

read more
Tax Disputes and Investigations – March 2026

Tax Disputes and Investigations – March 2026

In this edition, we cover a range of significant developments in UK tax disputes and investigations. We share our recent experience on MTIC and HMRC internal reviews, and analyse the First-tier Tribunal's striking findings in HMRC v Harte, where HMRC’s approach to...

read more
Code of Practice 9 (COP9)

Code of Practice 9 (COP9)

Receiving a Code of Practice 9 (COP9) letter from HMRC is a serious matter that requires immediate attention. This letter indicates that HMRC suspects deliberate tax fraud has taken place and initiates a formal investigation. How you respond in the coming weeks can...

read more