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Chambers recruits new tenant 12 July 2011 We are delighted to announce that Charles Bradley has accepted an invitation to join Chambers. Charles will formally become a tenant in early October once he has completed his pupillage....
LATIMER 2011 – FIXED 17/18 NOVEMBER 9 June 2011 ...(early bird price) 2 days full board accomodation, materials etc Latimer House, Bucks View the booking form and draft programme here. If you wish to see the programme and/or make...
JOINT VAT CONFERENCE FIXED FOR 31ST MARCH '11 19 November 2010 ...event of the year’, will take place on the 31st March 2011 at The Renaissance Chancery Court Hotel. You can download a copy of the flyer/booking form by clicking here....
BetIndex Ltd (in liquidation) v HMRC 15 March 2024 BetIndex Ltd was the company that operated the online betting platform ‘Football Index’ until 2021. The First-tier Tribunal has ruled that for the purposes of General Betting Duty it is...
Chambers sets up Tax and Finance ADR panel 29 February 2012 In response to Her Majesty’s Revenue & Customs pledge to make available alternative forms of dispute resolution to taxpayers, Pump Court Tax Chambers have announced a Tax and Finance Alternative...
Andrew Hitchmough awarded Silk 27 February 2013 ...The whole panel then discusses the evidence on each applicant.” Andrew will be formally appointed in the annual Silk ceremony at the House of Lords on Wednesday 27th March 2013....
Explain yourself! The duty of candour in tax litigation 3 December 2024 ...taxpayers should not assume that HMRC will treat the duty of candour (in its judicial review form) as applying in such cases and should make requests for specific disclosure as...
New Silks 11 January 2019 Following release of the results of the 2018 Queens Counsel (QC) competition, we are delighted to announce that James Rivett and David Yates will be formally appointed to Silk on...
Boulting v HMRC [2025] UKFTT 1272 (TC) – capital treatment under s1033 CTA 2010 4 November 2025 ...an “alternative remedy” in the form of the FTT appeal. Before the FTT HMRC raised two main arguments: The purchase was motivated by remunerating the taxpayer’s historic risk and/or investment...
FB Shipping Limited & FC Shipping Limited v HMRC [2024] UKFTT 1013 (TC) ...lease forms a part “makes provision the effect of which is to remove the whole, or the greater part of, any non-compliance risk which, apart from that provision, would fall...

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