GAAR Panel Ruling– can we get rid of Part 7A now (please)?

Generally though, given this approach to disguised remuneration (or non-remuneration?), is it really now necessary to have swathes of impossibly complex rules addressing these issues? Part 7A now runs to more than 60 individual sections, before even beginning to consider the numerous amendments dotted around in Finance Acts. For the sake of tax advisers everywhere, is it now time to look at simplifying Part 7A?
Tax Disputes and Investigations – November 2024
The Autumn Budget contained several high-profile measures which have obviously been the subject of considerable debate since. In this month’s newsletter, we have looked at some of the immediate announcements which may be specifically relevant for those dealing with...
Tax Disputes and Investigations -October 2024
Alternative Dispute Resolution (‘ADR’) By Jon Preshaw ADR is an increasingly important part of the toolkit available to practitioners and HMRC to resolve disputes. Our recent experience is that HMRC are keen to engage through ADR in most circumstances. In...
Tax Disputes and Investigations – June and July 2024
Our regular newsletter highlighting recent developments in the law and practice around Tax Disputes and Investigations. HMRC’s Annual Report HMRC’s Annual Report, published at the end of July, includes lots of detail about the department’s performance in the 2022/23...