The Tax Doctor: Domicile is key to solving Rubik tax puzzle by Mark Davies on Feb 19, 2014 at 10:05 Following the UK-Swiss Rubik agreement, German Hilda and her son must notify HMRC of their domicile to untangle their liabilities on a Swiss bank account and trust, writes Mark Davies of Mark Davies & Associates.…Details
HMRC toughen up tax on non-domicile dual work contracts HMRC’s objective is to target and prevent contrived arrangements which create artificial divisions between the duties of a UK and an overseas employment in order to obtain a tax advantage. In his autumn statement the chancellor, George Osborne, announced plans to curb tax avoidance using ‘dual…Details
Dual Contracts spell DOUBLE TROUBLE HMRC proposes new legislation on the taxation of dual contracts used by non-domiciles. In his autumn statement the Chancellor, George Osborne, announced plans to curb tax avoidance using ‘dual contracts’. Dual contracts are a common technique where an employee working for an international employer has several contracts with different group…Details
5th December 2013 This is an autumn statement with very few big surprises. The Government has little spare cash to give away and many of the tax changes have already been announced. Here is our synopsis of the most significant tax changes for our non-dom clients and their service providers. Personal Tax As promised in…Details
Today we will be publishing our response to the Chancellor’s Autumn Statement and news on how our clients may be affected.
There is an extraordinary anomaly when it comes to the taxation of capital gains on UK property. This is because foreign investors are not subject to Capital Gains Tax at all, while UK resident individuals are. At first glance this seems unfair, and there have been recent articles in the press which suggest that George…Details