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Philip Swinburn

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  • Dec 3, 2024 | mondaq.com | Philip Swinburn

    M Macfarlanes More We are a distinctive law firm, combining expertise, agility, and a client-centric culture to address the most challenging legal demands and foster innovation. Our firm is structured around the needs of our clients, with whom we build long-lasting relationships, tackling complex issues in key practice areas. Our approach is focused and deliberate.

  • Oct 31, 2024 | mondaq.com | Philip Swinburn

    M Macfarlanes More We are a distinctive law firm, combining expertise, agility, and a client-centric culture to address the most challenging legal demands and foster innovation. Our firm is structured around the needs of our clients, with whom we build long-lasting relationships, tackling complex issues in key practice areas. Our approach is focused and deliberate.

  • Oct 30, 2024 | mondaq.com | Philip Swinburn

    M Macfarlanes More We are a distinctive law firm, combining expertise, agility, and a client-centric culture to address the most challenging legal demands and foster innovation. Our firm is structured around the needs of our clients, with whom we build long-lasting relationships, tackling complex issues in key practice areas. Our approach is focused and deliberate.

  • Dec 8, 2023 | mondaq.com | Philip Swinburn

    In recent years flexible working has become commonplace across the private equity industry. This flexibility ranges from the occasional day working while on holiday to "commuter arrangements" where a manager might work from a London office Tuesday through Thursday, but then spend Friday through Monday working and living outside the UK. Tax authorities have struggled to keep up with the pace of change.

  • Jul 4, 2023 | taxjournal.com | Sarah Bond |Edward Buxton |Philip Swinburn |Dan Neidle

    Home >Articles > Why HMRC’s crypto tax proposals fall short of the mark Why HMRC’s crypto tax proposals fall short of the mark 4 July 2023 It would be a mistake to treat DeFi rewards as income and to apply repo-like rules, as HMRC proposes, because the quantity and composition of assets redeemed could be different to those originally added to the DeFi position.

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