Spread bet your way to a tax-free remittance?

The remittance basis of taxation can apply to non-UK domiciled individuals. This means that in certain tax years they could escape…

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Business Asset Disposal Relief (‘BADR’) for 4.9% shareholdings?

When shareholders seek to claim the special 10% BADR capital gains tax rate it is a fairly well-established principle that they…

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The stamp duty land tax (SDLT) risk of de-enveloping property companies

FA 2003 section 75A is the main piece of SDLT anti-avoidance legislation that HMRC has at its disposal to attack certain…

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Employment-related securities (‘ERS’) reporting

If you own a limited company which operates a share plan, or have had any share transactions involving employees or directors,…

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Double trouble when winding down unwanted offshore property structures

It used to be common practice for non-domiciled individuals to hold UK residential property through an offshore company. That way, a…

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