03 May 2013

FTT Decision: Abbeyland Ltd v HMRC

CORPORATION TAX – chargeable gains – s 37 TCGA 1992 – tax avoidance scheme using capital redemption policies – whether surrender proceeds to be excluded from chargeable gains computation – Drummond v RCC considered – appeal dismissed

Richard Vallat acted for HMRC.

Please click here for the full decision.

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