Showing 13-24 of 39 results

The Office of Tax Simplification publishes second report on simplifying Capital Gains Tax

The OTS has suggested significant CGT reforms across a wide range of areas, including moving home, getting divorced, and running or investing in a business
11 June 2021

Press release

Burges Salmon partner named in 2021 eprivateclient 50 Most Influential

John Barnett, Head of the firm’s Private Client Services team, has been named in the 2021 eprivateclient Most Influential rankings
02 February 2021

Recent Court of Appeal judgment is a reminder of the importance of company residence

The latest decision in HMRC v Development Securities results in Jersey-incorporated companies being found to be resident in the UK for tax purposes 
20 January 2021

Capital Gains Tax: what’s next following the Office of Tax Simplification report?

We consider the recommendations in the Office of Tax Simplification report, possible Capital Gains Tax changes in 2021 and their practical implications
03 December 2020

ATED late filing penalties: cause for celebration?

This article summarises the ATED rules and reviews a recent First-tier Tax Tribunal decision that clarifies HMRC’s ability to impose daily late filing penalties

17 November 2020

The new non-resident SDLT surcharge: an overview

A two per cent non-resident SDLT surcharge will apply from 1 April 2021. Our Tax Team provides an overview of the changes, highlighting some areas of possible difficulty
09 November 2020

Event

Webinar on demand: In conversation with Sir Edward Troup

On 6 October 2020, we were joined by Sir Edward Troup, who gave an insider’s view of possible tax changes affecting Private Wealth

14 October 2020

The UK Trusts Register – Where are we now?

HMRC have released the draft regulations implementing the 5th MLD changes to the UK Trusts Register. Our Tax Team examines the scope of these changes

27 July 2020

Important Inheritance Tax Changes for Trusts

We consider Inheritance Tax changes for Trusts in the 2020 Finance Bill and urgent restructuring which trustees and settlors may want to consider where they have excluded property trusts
09 July 2020

Domicile and Long-Term Residence: an early domicile conclusion can become an unwanted gift

The FTT decided it had authority to determine the taxpayer’s domicile status during an application for a closure notice and appeal against an information notice
18 June 2020

Fisher v HMRC: The Upper-Tier Tribunal decision

The Upper-Tier Tribunal decision in Fisher v HMRC has clarified the scope of the Transfer of Assets Abroad code and the applicability of the motive defence
16 April 2020

Is HMRC's new draft Charter an improvement?

HMRC’s new draft Charter has some encouraging additions but a few concerning omissions will hopefully be amended before it is finalised
09 April 2020
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