Articles

  • Aug 27, 2024 | lexology.com | Jack Prytherch |Ian Hyde |Jeremy Summers |Chris Wrigley

    Corporates face increasing risk of criminal prosecution for tax evasion under a new fraud offence and Labour governmentThe new "failure to prevent fraud" offence, as set out in the Economic Crime and Corporate Transparency Act 2023, is finally expected to come into force in the first half of 2025, once the government has published the guidance prescribed by the legislation – this will be followed by an implementation period of at least six months.

  • Jun 6, 2024 | internationaltaxreview.com | Ian Hyde |Jack Prytherch

    As a premium subscriber, you can gift this article for free Copy gift link https://www.demo.com/demo-article/ Link copied to clipboard You have reached the limit for gifting for this month There was an error processing the request. Please try again later. You have 10 article gifts to share each month

  • Jun 5, 2024 | mondaq.com | Jack Prytherch |Ian Hyde

    Labour's plans for closing the tax gap suggest that taxpayers may face an increasingly aggressive HMRC With the general election now underway, shadow chancellor Rachel Reeves has already ruled out rises in corporation tax, VAT, income tax and national insurance, and indicated that no further tax rises are planned beyond those already set out.

  • Jun 3, 2024 | lexology.com | Jack Prytherch |Ian Hyde

    Labour's plans for closing the tax gap suggest that taxpayers may face an increasingly aggressive HMRCWith the general election now underway, shadow chancellor Rachel Reeves has already ruled out rises in corporation tax, VAT, income tax and national insurance, and indicated that no further tax rises are planned beyond those already set out.

  • Feb 14, 2023 | lexology.com | Matthew H. Greene |Michelle Radom |Ian Hyde

    The commitment of HMRC to alternative dispute resolution is welcome but flexibility in mediation and settlement is vitalHMRC has published a new manual providing detailed guidance on its approach to alternative dispute resolution (ADR) for tax disputes. The guidance captures existing practice and builds upon the more limited existing guidance covering ADR.

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