Showing 1-12 of 18 results

ATAD III View from outside the EU

The proposed Directive targets 'shell' companies in the EU, with implications for many international groups.  Next in the firing line are non-EU
'enablers' of aggressive tax planning.
25 July 2022

Statutory Residence Test: an exceptional 'exceptional circumstances' case?

We explore a recent First Tier Tribunal case on the application of the exceptional circumstances exemption under the UK’s statutory residence test
26 May 2022

Publication

A guide to moving to the UK

This guide summarises the key issues for wealthy individuals looking to relocate to the UK, including UK immigration and tax law and how to plan your move
10 May 2022

Podcast

Death and Taxes: a Private Client podcast

In our new podcast series 'Death and Taxes', we discuss the latest developments and issues facing private clients and their advisers
10 March 2022

Top ten tips for moving to the UK from South Africa

A quick guide to making your move to the UK from South Africa a little less stressful
24 November 2021

Biden’s tax plan – a UK perspective

Individuals with connections to both the US and the UK should not lose sight of UK tax implications when they plan for the forthcoming US tax changes
08 October 2021

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

Correcting historic tax liabilities

Although tax may be automatically deducted from wages, pensions and savings, the onus is on the taxpayer to self-assess and inform HMRC of anything which is untaxed or under-taxed
04 September 2019
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