Bilfinger Salamis Upper Tribunal: Offshore Payroll Schemes Fail – NIC Host Employer Risks for Energy CFOs
I’ve seen too many offshore payroll ‘innovations’ pitched as NIC savers. The Upper Tribunal’s recent Bilfinger Salamis UK Limited v […]
I’ve seen too many offshore payroll ‘innovations’ pitched as NIC savers. The Upper Tribunal’s recent Bilfinger Salamis UK Limited v […]
As a CFO navigating private equity-backed professional services firms, few things keep me up at night like partnership tax structures
Chester Lettings Limited v HMRC [2026] UKFTT 614 (TC) – decided 21 April 2026 – delivers a brutal reminder: that
As a CFO, you know Transactions in Securities (TiS) rules under ITA 2007 can ambush capital restructurings. The recent FTT
As a CFO who’s navigated decades of tax scrutiny, I’ve seen how seemingly noble acts like political donations can turn
After more than ten years of litigation across five hearings, the First-tier Tribunal has ruled decisively in favour of Professional
As a CFO who’s structured offshore holdings for high-net-worth clients, I’ve seen the remittance basis weaponised against non-doms. But Personal
As a CFO, you’ve likely stared down HMRC in a dispute. But what if the taxman got itself banned from
When does a trade “begin to be carried on”? It sounds like a simple question, but Putney Power Ltd and
When the Upper Tribunal hands down a decision that swings a capital allowance balancing charge from £167 million to £23