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Corporate Residence is about the UK's approach to determining the residence status of corporations and thus their exposure to UK tax. If companies are not managed and controlled in the correct way they could unintentionally become UK resident and so be rendered subject to UK taxes. The question of where a company is actually resident has become increasingly significant, with the international nature of so many business transactions today, including e-commerce transactions. Contents: 1. Corporate Residence; 2. The Importance of UK Residence Status; 3. The Statutory Rules; 4. Central Management and Control - the case law test; 5. Recent Case law: Wood v Holden, Datacom and Laerstate; 6. Corporate residence and tax treaties; 7. Treaty tiebreaker provisions; 8. Directors' meetings; 9. Communication between the UK and overseas; 10. The application of the case law test to subsidiaries; 11. The Memorandum and Articles of Association; 12. HMRC practice; 13. Avoiding a Residence Enquiry; 14. HMRC's Enquiry into Residence - Practical Case Studies.
|Publication date:||30th October 2013|
|Publisher:||Bloomsbury Professional an imprint of Bloomsbury Publishing PLC|
David Hughes BBS MA (TCD) ACA AITI CTA (Fellow) ADIT TEP is a partner at Hazlems Fenton LLP, and was previously a Director on the private client Tax Team at a top six firm of chartered accountants.More About David Hughes