Date |
Title |
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22 June 2010
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Client/Legal Alert
Key business tax reforms announced by the UK's new Coalition Government
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30 June 2010
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Article
Experts discuss current transfer pricing issues
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15 July 2010
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Client/Legal Alert
First-ever comprehensive Double Taxation Agreement between UK and Hong Kong brings planning possibilities.
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19 July 2010
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Article
Richard Fletcher joins panel of transfer pricing practitioners for Financier Worldwide's discussion.
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28 July 2010
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Client/Legal Alert
HM Treasury outlines details of further reforms to UK taxation of foreign profits.
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December 2010
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Client/Legal Alert
Companies will be able to choose whether to opt in to a new exemption from UK corporate tax for foreign branch profits.
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December 2010
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Client/Legal Alert
The UK will introduce a 10% rate for patent profits from 2013, and is reviewing the effectiveness of its R&D tax credit regime.
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December 2010
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Client/Legal Alert
On 29 November 2010, the UK government revealed the latest steps in its Corporate Tax Road Map.
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December 2010
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Client/Legal Alert
UK government announces key aspects of interim and wholesale reforms to CFC rules.
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March 2011
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Client/Legal Alert
Surprise cut in UK corporation tax rate but corporates must wait for final details of CFC reform and branch tax exemption
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April 2011
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Client/Legal Alert
This alert is about important changes to the UK regime for tax exempt real estate investment trusts (REITs).
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April 2011
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Client/Legal Alert
This alert is about UK Government's introduction of a new authorised fund regime for a tax transparent vehicle .
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14 July 2011
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Client/Legal Alert
Groups with interests in China should begin planning now in order to gain maximum benefit from the favorable new provisions in the UK/China double tax treaty, in particular the 5 percent rate of Chinese withholding tax on dividend flows between China and the UK.
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February 2012
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Client/Legal Alert
The UK tax authorities (HMRC) have recently issued a new Statement of Practice relating to Advance Thin Capitalisation Agreements (ATCAs). This new guidance provides increased opportunities for taxpayers to obtain certainty on a unilateral basis around the application of the UK transfer pricing rules to a wider range of debt financing arrangements.
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March 2012
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Client/Legal Alert
UK government clamps down on enveloping of high-value residential property in corporate structures. Stamp duty land tax and capital gains tax charges likely to discourage use of such structures for residential investment in the future.
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