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Latest Articles |
How the new 45% 'supertax' may apply from April 2011 and how to avoid it
This is the headline grabbing change in the pre budget report. The Chancellor proposes to introduce a new 45% income tax rate on anyone earning over £150,000. This is a huge change. Whilst it's still someway below the 83% income tax rate that we had between 1974/1975 and 1978/79, we've had a 40% higher rate of income tax since 1988/89. It's therefore the first change to the highest tax rate for over 20 years. This article looks at how it may operate and how to avoid it . . . keep reading
Tax deduction rules for interest on a buy to let property - maximising your tax relief
If you own a buy to let property minimising income tax on the rental income will no doubt be a key issue.The tax legislation states that you'll obtain a tax deduction for any interest you incur 'wholly & exclusively' for the purposes of the lettings business. Does this restriction still apply or is this being eroded by new Revenue practice in this area? . . . keep reading
How a Panama Foundation is Treated for UK Tax Purposes
If you look at offshore companies or trusts on the internet you'll see these mentioned quite a lot. You'll see Foundations offered in lots of jurisdictions, but Panama and Liechtenstein tend to be popular. This article looks at how Panama Foundations are treated for UK tax purposes . . . keep reading
The Non Resident Landlord Scheme and How To Complete Form NRL1
If you're non UK resident and receive rental income from a UK property you'll certainly need to consider the non resident landlord scheme. This article tells you how the scheme operates and also includes a summary of how to complete the form NRL1 (to receive rents free of UK tax deducted at source) including annoted extracts from the actual form. . . . keep reading
What is overseas capital and how to remit it free of UK tax
Remitting overseas capital is a common question both in our tax forum and our online Q&A service. This article looks at exactly what overseas capital is and how non UK domiciliaries can use the rules to remit overseas cash free of UK tax whether they choose the arising basis or the remittance basis after April 2008. It also looks at the rules applying to mixed funds. . . . keep reading
Establishing a property as a main residence in 2008
Establishing a property as a main residence can be very attractive in terms of reducing your tax charge on a future disposal. This is due to the fact that a property that has been occupied as a main residence will qualify for principal private residence ('PPR') relief. This article looks at some of the main points to consider when establishing a property as a main residence and also includes a handy checklist of 'evidence' that could prove invaluable in arguing a property was a main residence. . . . keep reading
Tax relief for interest withheld under the EU savings directive
If you hold savings in bank accounts in other EU countries you'll be subject to withholding tax on any interest generated on these funds under the EU savings directive. This article looks at how to obtain tax relief for the interest that is withheld. . . . keep reading
Overseas directors and the central management and control test
Establishing a company as non UK resident can be very attractive for UK tax purposes. The main benefit is that any profits from an overseas trade would be fully exempt from UK corporation tax. In this article we look at whether, if you're UK resident and live in the UK, you can establish an overseas company, ensure it's controlled from abroad and avoid UK taxes? |Image1| . . . keep reading
Top income and gains that don't have to be declared on a tax return
If you have any income or gains that don't need to be declared to the taxman not only does it make your return easier to complete, but it provides less opportunity for a challenge into your return. The more straightforward your return is the less they have to 'hang their hat on' to raise an enquiry. This article looks at some of the top income and gains that don't need to be disclosed . . . keep reading
Transferring assets to an emigrant beneficiary trust to achieve a capital gains tax free disposal
If you hold assets standing at a substantial capital gain, arranging for the disposal free of capital gains tax could be very lucrative. Actually achieving this in practice though is not straightforward. This article looks at a variation on other planning techniques by using an emigrant beneficiary trust . . . keep reading
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