An eye over a recent tribunal decision and wonders where the judicial boundaries of purposive interpretation are being drawn.
A recent Office of Tax Simplification stakeholder event.
Good to work together.
The AAT Birmingham conference.
Absolutely nothing.
Time to overhaul the discovery rules
Donaldson decision awaited with anticipation
HMRC’s latest proposals for dealing with employee benefit trusts.
Most firms do not peddle avoidance schemes
Digital concerns
Penalty primer.
The recent appearance of Google and HMRC before the House of Commons’ public accounts committee.

