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The new prospectus regime - a guide for debt issuers
In this briefing we seek to answer questions that may arise from the new prospectus regime, to ensure a smooth transition to the new regime. The date that the new prospectus regime takes full effect, 21 July 2019, is fast approaching. In this briefing we...
Is a digital services tax State aid?
A feature of all the DSTs described in Deeksha Rathi’s earlier post is that they apply only to digital businesses that generate global and domestic revenues above certain (generally very high) thresholds. These proposed taxes focus solely on...
Taxing the digital economy: my way or the highway will not lead to a longer-term solution
There is a common recent development in the tax systems of the UK, France, Austria, Poland, Czech Republic, Italy, and Spain. All of these countries have announced some version of a digital services tax .
Tax and climate action: the UK's proposed plastic packaging tax
Clearly, the pressure on governments to take climate action is increasing: each Friday, students all over the world strike to demand such action, Ireland and the UK have become the first two countries to declare a climate emergency and Australia’s...
Decisions to be made on UK CFC State aid challenge
Now that they have had a chance to digest the decision in the EU State aid investigation into certain aspects of the UK CFC rules, affected taxpayers are asking a number of questions.
Competition & Regulatory Newsletter
European Commission accepts commitments offered by Visa and Mastercard The European Commission made binding commitments offered by Visa and Mastercard to address its concerns relating to inter-regional MIFs for payments in the EEA with consumer cards...
The Dispute Resolution Review - 11th edition - Hong Kong chapter
Legal developments in Dispute Resolution in Hong Kong prepared for the eleventh edition of The Dispute Resolution Review The Dispute Resolution Review provides an indispensable overview of the civil court systems of 36 jurisdictions and offers a guide to...
Tax and the City Review for May 2019
Mike Lane and Zoe Andrews consider HMRC’s revised hybrid capital instruments technical note and their response to stakeholders’ concerns on the profit diversion compliance facility. They also look at the full decision on the UK's CFC...
Economic substance requirements in the Crown Dependencies
Companies resident for tax purposes in Guernsey, the Isle of Man or Jersey are subject to economic substance requirements if they have income from a relevant business sector in any accounting period commencing on or after 1 January 2019.
Time limit traps: lessons from the 2019 loan charge
Richard Jeens and Rose Swaffield look at the broader questions around statutory time limits and how they apply to HMRC’s ability to investigate a taxpayer’s affairs and raise assessments of tax. Both the loan charge and diverted profits tax...
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