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• Interest Balance on Mixed accounts as of 5/4/08
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• How to claim double tax relief on UK pensions
• capital gains tax and non-dom
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2,814 Tax Questions Answered

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FREE DOWNLOAD - Tax Planning With Offshore Companies & Trusts: The A-Z GuideFREE DOWNLOAD - Tax Planning With Offshore Companies & Trusts: The A-Z Guide
June 2013 Edition
This guide contains detailed information on how offshore companies and trusts are taxed in 2013 and how (and when) you can use them to reduce your UK taxes. It is updated for the latest anti avoidance . . . keep reading

FREE DOWNLOAD - Tax Planning With Double Tax TreatiesFREE DOWNLOAD - Tax Planning With Double Tax Treaties
June 2013 Edition
This guide contains detailed information on how you can use the terms of the UK's double tax treaties to reduce your UK tax liability. It is updated for the latest anti avoidance rules that apply from . . . keep reading

FREE DOWNLOAD - Tax Planning With LLP'sFREE DOWNLOAD - Tax Planning With LLP's
May 2013 Edition
In this guide we look at exactly how an LLP is taxed, before looking at how you can use LLP's to reduce your UK taxes. We cover how LLP's can be used by individuals as well as companies for UK tax pla . . . keep reading

FREE DOWNLOAD - Non-Resident and Offshore Tax Planning 2013FREE DOWNLOAD - Non-Resident and Offshore Tax Planning 2013
April 2013 Edition
This brand new (April 2013) edition of our best selling offshore tax planning book tells you what you need to know to take advantage of offshore opportunities and slash your UK tax bill. It's a pretty . . . keep reading

FREE DOWNLOAD: How To Avoid CGT In 2013/2014FREE DOWNLOAD: How To Avoid CGT In 2013/2014
March 2013
As the highest rate of capital gains tax ("CGT") is 28%, anything you can do to reduce this is likely to be highly attractive. In this book we look in detail at how you can reduce capital ga . . . keep reading

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Latest Articles For Gold Members
How UK residents can use a Mauritian company to avoid UK capital gains taxHow UK residents can use a Mauritian company to avoid UK capital gains tax
Using overseas companies to avoid UK capital gains tax is an established form of tax planning. Unfortunately if you wanted to use this technique to avoid CGT nowadays it's subject to numerous anti avo . . . keep reading

Revealed - QC approved scheme to avoid CGT on the sale of UK investment property whilst UK resident/domiciledRevealed - QC approved scheme to avoid CGT on the sale of UK investment property whilst UK resident/domiciled
In this article, exclusively for our Gold members, we explore how UK residents and domiciliaries can use a Cyprus offshore structure to potentially avoid UK CGT completely on the disposal of UK invest . . . keep reading

Tax Book - Tax Planning Techniques Of The Rich & FamousTax Book - Tax Planning Techniques Of The Rich & Famous
This new tax book contains detailed information on how you can take advantage of the same tax planning techniques that the rich and famous use to reduce your UK taxes. This pdf guide is 146 pages lon . . . keep reading


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What the provisions of double tax treaties actually mean
19/06/2013
What the provisions of double tax treaties actually mean Understanding exactly what a double tax treaty says, and what it means can be very important. Although it's generally best left to professionals there's no harm in having a general understanding of what these tax treaties mean. This will then allow you to have a look at the treaty implications for yourself, before getting a tax review by a professional. . . . keep reading
When to opt for an asset or share deal when selling your business
17/06/2013
When to opt for an asset or share deal when selling your business When you're selling your company, there are two broad options. You could either structure the deal as a share deal or an asset deal. If you sell the shares, then the capital gain will arise on you (ie 10%, 18% or 28%). If you opt for an asset deal the company doesn't pay capital gains tax (which would only usually apply to individuals, trusts and executors). Instead it pays corporation tax on any capital gains. The tax rate will be its marginal rate of tax. In this article we look at precisely when it is attractive in tax terms to opt for a share or asset deal . . . keep reading
Taking advantage of double tax treaties to reduce withholding taxes (eg Offshore licence/patent companies)
14/06/2013
Taking advantage of double tax treaties to reduce withholding taxes (eg Offshore licence/patent companies) Many countries apply a withholding tax to certain forms of income that derive from within their jurisdiction. The most common examples of this are interest income or royalty income.In this article we look at how double tax treaties can be used to reduce withholding tax . . . keep reading
FREE DOWNLOAD - Tax Planning With Offshore Companies & Trusts: The A-Z Guide
June 2013 Edition
FREE DOWNLOAD - Tax Planning With Offshore Companies & Trusts: The A-Z Guide This guide contains detailed information on how offshore companies and trusts are taxed in 2013 and how (and when) you can use them to reduce your UK taxes. It is updated for the latest anti avoidance rules that apply from April 2013. . . . keep reading
FREE DOWNLOAD - Tax Planning With Double Tax Treaties
June 2013 Edition
FREE DOWNLOAD - Tax Planning With Double Tax Treaties This guide contains detailed information on how you can use the terms of the UK's double tax treaties to reduce your UK tax liability. It is updated for the latest anti avoidance rules that apply from April 2013. . . . keep reading
Using an intermediary company to reduce withholding tax
10/06/2013
Using an intermediary company to reduce withholding tax Double tax treaties frequently provide for lower rates of withholding tax on dividends, interest and royalties. To take advantage of this, it can often be attractive to set up a company in a suitable treaty jurisdiction to receive the income and benefit from these lower withholding tax rates. This article looks at recent guidance issued by HMRC that consider how they will determine whether an overseas company is genuinely beneficial entitled to the income for tax treaty purposes|Image1| . . . keep reading
Why UK holding companies are so attractive
07/06/2013
Why UK holding companies are so attractive For an "onshore" jurisdiction the UK company provides a lot of potential benefits as an international holding company. In this article we look at precisely how a UK company can be used tax efficiently as a holding company . . . keep reading
Latest 2013 SDLT planning changes
03/06/2013
Latest 2013 SDLT planning changes SDLT planning schemes have changes significantly following Budget 2013 - particularly sub-sale schemes. In this article we look at sub-sale schemes in more detail and assess the impact of recent changes. . . . keep reading
2014 changes to the tax treatment of partnerships and LLP's
30/05/2013
2014 changes to the tax treatment of partnerships and LLP's HMRC published consultation paper this week that looks at partnerships and LLP's and in particular disguised employment and profit and loss allocation schemes. In this article we look at the proposed changes from 2014. . . . keep reading
Non Doms and overseas joint accounts
28/05/2013
Non Doms and overseas joint accounts Many non doms own offshore accounts jointly with their spouse or other individuals. In this article we look at this in practical terms and assess what difference holding the account in joint names could have for non doms. In particular we analyse the position where both account holders claim the remittance basis compared to where only one account holder claims the remittance basis . . . keep reading
FREE DOWNLOAD - Tax Planning With LLP's
May 2013 Edition
FREE DOWNLOAD - Tax Planning With LLP's In this guide we look at exactly how an LLP is taxed, before looking at how you can use LLP's to reduce your UK taxes. We cover how LLP's can be used by individuals as well as companies for UK tax planning. . . . keep reading
Using a corporate partner to avoid tax
22/05/2013
Using a corporate partner to avoid tax With the top rate of income tax being 45%, introducing a corporate partner could be an option for any partnerships looking to reduce tax. In this article we look at how using a corporate partner could be very effective in reducing tax . . . keep reading
Tax Checklist: Moving back To The UK
20/05/2013
Tax Checklist: Moving back To The UK Following a request from one of our members we've put together a checklist covering the key tax issues for anyone planning to move back to the UK. . . . keep reading
A recent case on the £30,000 exemption for termination payments
17/05/2013
A recent case on the £30,000 exemption for termination payments In order to take advantage of the £30,000 exemption for termination payments it's important that any such payments are carefully broken down. In this article we look at a recent case in this area. . . . keep reading
Bed & breakfasting shares as a non resident
15/05/2013
Bed & breakfasting shares as a non resident This article is in response to a question we received relating to how the bed & breakfast rules apply to a non resident planning to move back to the UK. We look at the CGT exemption available for non residents and how this interacts with these share matching rules . . . keep reading
Tax Saving Tactics For Non Doms - 2013/2014 Printed Edition
Tax Saving Tactics For Non Doms - 2013/2014 Printed Edition This unique tax book explains the rules for non-doms in plain English. It also reveals exactly how you can use your special status to save thousands of pounds in income tax, capital gains tax and inheritance tax. . . . keep reading
How to set up your own charity to reduce tax
13/05/2013
How to set up your own charity to reduce tax If you have significant resources and want to "make a difference", or you have a specific charitable aim, you could consider creating your own charity. You should be able to claim the same charitable reliefs and allowances on gifts to your own charity that you could claim if you were making gifts to any other charity. You could even make a gift to your charity under your will, which allows you to take advantage of the lower rate of Inheritance Tax (36% as opposed to 40%). . . . keep reading
Share buy backs made easier for small companies
09/05/2013
Share buy backs made easier for small companies As from 30 April 2013, it has become slightly easier for private companies to buy back their own shares, including shares held by employees. In this article we look at the recent changes . . . keep reading
Change to Inheritance tax treatment of home loan - 07/05/2013
07/05/2013
Change to Inheritance tax treatment of home loan - 07/05/2013 Borrowing against your home can be attractive for a number of tax planning reasons depending on how you use the released funds. One of the benefits to date has been for Inheritance tax planning. We look at the change to this in the latest Finance Bill. . . . keep reading
The World's Best Tax Havens - 2013 Printed Edition
The World's Best Tax Havens - 2013 Printed Edition This book provides a rare insight into the glamorous world of tax havens. The first half contains fascinating information on 25 of the world's best tax havens -- from the exotic Cayman Islands, British Virgin Islands and Monaco, to less well-known but highly attractive tax havens like Cyprus, Malta and the Isle of Man. The second half of the book explores how big companies and the rich use tax havens and how, with proper planning, you too could legally enjoy some of these benefits. . . . keep reading
Buying property tax efficiently whilst your children are studying
03/05/2013
Buying property tax efficiently whilst your children are studying The slump in property prices will have made many people consider whether buying property for their children to occupy whilst at university is cost effective. However, given the currently low prices, if you're looking at the long term with perhaps other family members occupying the property and also renting it out to third parties it can still be a worthwhile investment. In this article we look at structuring such a purchase tax efficiently . . . keep reading
Everything you need to know about the new General Anti Avoidance Rule (GAAR)
01/05/2013
Everything you need to know about the new General Anti Avoidance Rule (GAAR) It's pretty clear that we are to have a GAAR and it's likely to be in the form set out in the recent Finance Bill. In this article we look in detail at the recent HMRC guidance and consider just how the new GAAR will apply. . . . keep reading

Tax planning for non-doms remitting income from previous years
29/04/2013
Tax planning for non-doms remitting income from previous years The arising basis only applies to income or gains that actually arise in a particular tax year. If you go from claiming the remittance basis to the arising basis, your unremitted income from previous years is not automatically taxed. Only when remitted to the UK will you be subject to UK tax. In this article we look at tax planning for non-doms remitting income from previous years . . . keep reading

Are you receiving income or capital from an offshore trust?
26/04/2013
Are you receiving income or capital from an offshore trust? When you receive a distribution from an offshore trust, assessing whether this is a distribution of capital or income can be important for tax purposes. Income receipts will be assessable on a UK resident (and domiciled) settlor, whereas capital receipts could be subject to various anti avoidance provisions. In this article we look at how to determine whether a trust distribution is income or capital . . . keep reading
Making the most of Business Property Renovation Allowances for 2013
24/04/2013
Making the most of Business Property Renovation Allowances for 2013 Business Property Renovation Allowances (BPRA) are available for qualifying expenditure incurred before 11 April 2017. In this article we look at how the BPRA scheme operates . . . keep reading
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