You’ve successfully grown and developed your business and may have reached the decision to either partially or fully exit. This could perhaps be because the next generation of your family are not interested in taking the business on and/or because you would like to realise value for the future and reap the rewards of your…
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Year: 2021
Tax fraud – To prosecute or not to prosecute? That is the question.
In 2016 HMRC’s Fraud Investigation Service (“FIS”) was formed bringing together both criminal and civil investigators, a world first for tax enforcement. Since then, more than £1 billion has been recovered from tax offenders and the proceeds of crime. HMRC has described that sum as being the equivalent to the cost of funding 20,000 NHS…
Webinar: Domicile Record Keeping featuring Alan Kennedy!
We are pleased to announce we have teamed up with the tax technology experts at Taxteq for a joint webinar on the importance of record-keeping for tax domicile, which will take place on November 30 at 4pm. On the agenda: domicile record keeping – preparing for enquiries and improving client relationships. Paul Aplin OBE will…
Autumn Statement and Family Investment Companies
There was nothing new in the Autumn Statement that had an impact on Family Investment Companies (“FICs”). However, now the corporation tax rate increase in April is fixed, it is worth considering the effects this has on the investment return in a FIC. Dividends There are two significant points here. Firstly, the rise in the…
Tightening up on R&D relief – are stronger controls long overdue?
It was unsurprising that the recent arrest of eight people (including a tax agent) on suspicion of conspiring to submit over 100 fraudulent R&D relief claims, made the headlines. Reports suggest that further arrests will follow while HMRC put out a statement confirming that, by acting quickly, it prevented public funds in the order of…
HMRC launch campaign to reject non-residence claims due to COVID lockdown
HMRC is issuing “nudge” letters to thousands of individuals whose submitted self-assessments tax returns included claims that at least some of the days spent in the UK were due to “exceptional circumstances” and should therefore be disregarded when determining their UK tax residence. UK tax residence is determined by the statutory residence test which permits…
Offshore property owners in HMRC sights
HMRC will launch a new campaign in September targeting non-compliance by non-UK resident companies owning UK residential property. HMRC has extensive information at its disposal including the Land Registry enabling it to identify non-resident corporate owners of UK property that may not have met their UK tax obligations. HMRC will issue one of two letters:…
HMRC promises “many more” tax investigations as it targets Euro Pacific Bank
The establishment of the Joint Chiefs of Global Tax Enforcement (or the J5 for short) in 2018 brought together tax enforcement authorities from the UK, Australia, Canada, the US and the Netherlands. Its objective remains the tackling of serious international tax fraud. HMRC, together with its partners, has been investigating Euro Pacific Bank for over two…
The Statutory Residence Test allows for “exceptional circumstances” to avoid injustice
The anonymised case of A taxpayer v Revenue and Customs[2022] UKFTT 133 (TC) provides a useful insight into HMRC’s approach on the conditions to be met for days spent in the UK to be ignored for the purposes of the Statutory Residence test on the grounds of exceptional circumstances. An individual who lived in Dublin, having…
Offshore Bonds – Tax pitfalls
In our Article in October 2021, we discussed some of the key features of single premium offshore life assurance bonds held by individuals and trusts. In this Article our focus turns to the tax pitfalls that may be encountered with offshore bonds and how they can be avoided. Personalised Portfolio Bonds One of the key…