Mondaq UK: Tax > Tax Authorities
DLA Piper
On July 24, 2019, the French Digital Services Tax (DST) became law (law nฐ2015-759 dated July 24, 2019). The new tax is effective as of January 1, 2019.
Herbert Smith Freehills
The Court of Appeal has held that a letter sent by a party to a share purchase agreement did not constitute a notice of a claim under tax covenants in the agreement.
Squire Patton Boggs LLP
Last month the government published both the results of its latest consultation on IR35 and the draft legislation.
DLA Piper
In Infohos (C-400/18), the Advocate General considered what conditions Member States are allowed to impose on the availability of the cost-sharing group exemption
DLA Piper
In the Chancellor, Masters and Scholars of the University of Cambridge (C-316/18) the CJEU was asked whether the taxpayer should be allowed to recover input tax
Withers LLP
The requirement to register a UK resident trust or a non UK resident trust that owns UK assets or has UK source income has been in place since January 2018.
Squire Patton Boggs LLP
On Thursday 11 July 2019, the UK government confirmed that it will bring forward legislation for a new Digital Services Tax (DST) to take effect from April 2020.
Hewitsons LLP
I own a flat which I rent out to a tenant. I'd like to give the flat to my son so he can manage the property and benefit from the profits of the tenancy.
DAC Beachcroft LLP
A recent judgment in Evans v PricewaterhouseCoopers LLP [2019] considers the question of when a limitation period runs in circumstances where tax liability is contingent on a future event...
DLA Piper
The DLA Piper Transfer Pricing Team recently presented a series of Transfer Pricing Masterclasses on a variety of topics.
Squire Patton Boggs LLP
Given what I have read about CEST supposedly being rigged in favour of HMRC, is it worth using for my PSC assessments?
Withers LLP
As an individual who operates through a personal services company, how might you be affected by changes to the IR35 regime?
Withers LLP
Agencies may in some circumstances be liable to operate PAYE on behalf of clients for contractors who have been classified by the client as self-employed
Dentons
On June 28, 2019, the Dutch State Secretary of Finance published a revised decree revising the ruling policy on the basis of which advance certainty
Squire Patton Boggs LLP
We reported last week that the Government intends to proceed with its proposal to reinstate HMRC as a preferential creditor on insolvency, which could spell disaster for UK businesses, lenders and the UK economy.
Cleary Gottlieb Steen & Hamilton LLP
On July 11, 2019, the UK government confirmed that a new digital services tax (DST) will be introduced in the UK and published draft legislation for the Finance Bill 2020.
Cleary Gottlieb Steen & Hamilton LLP
The changes would apply to certain connected-company transactions July 12, 2019.
Proskauer Rose LLP
Following the decision by the First-tier Tribunal (FTT) in Warshaw V HMRC, reported in our UK tax blog earlier this month
DLA Piper
On June 28, 2019, the Dutch State Secretary of Finance published the final decree on the Dutch tax ruling practice pertaining to tax rulings relating to cross-border structures
DLA Piper
On 6 April 2019, the UK's far-reaching tax regime on offshore receipts in respect of intangible property (ORIP) came into effect
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Herbert Smith Freehills
The Court of Appeal has held that a letter sent by a party to a share purchase agreement did not constitute a notice of a claim under tax covenants in the agreement.
Squire Patton Boggs LLP
Last month the government published both the results of its latest consultation on IR35 and the draft legislation.
DLA Piper
On July 24, 2019, the French Digital Services Tax (DST) became law (law nฐ2015-759 dated July 24, 2019). The new tax is effective as of January 1, 2019.
Dixcart
UK tax may be due, but there are a number of options that might reduce or negate the UK tax payable.
Clyde & Co
Since 2011, investigations into dividend arbitrage transactions have been and still are ongoing in Germany and, in total, approximately 100 financial institutions are said to be subject to investigations.
Skadden, Arps, Slate, Meagher & Flom (UK) LLP
This issue of Skadden's semiannual Cross-Border Investigations Update takes a close look at recent cases, regulatory activity and other key developments,
Gibson, Dunn & Crutcher
Tax authorities around the world are trying to understand the fundamental drivers of the digital transformation of the global economy, with the
Withers LLP
The requirement to register a UK resident trust or a non UK resident trust that owns UK assets or has UK source income has been in place since January 2018.
Gowling WLG
The Government has announced four separate consultations all aimed at reducing single-use plastic packaging. We've summarised the key issues that you and your business need to know.
Gowling WLG
Many businesses with cross border operations rely on their globally mobile employees to maintain relationships with their overseas customer bases.
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