HMRC's case
I wonder if this will still form the thrust of their defence?
http://forums.contractoruk.com/718788-post682.html
We can advise you that HMRC has responded to the Judicial Review proceedings stating that Section 58 is not incompatible with the UK Human Rights Act for the following main reasons:-
(a) There is no unfairness to taxpayers who used the scheme because they sought to reduce their tax liabilities below what other people not using the scheme paid.
(b) HMRC had made both the general public and professional market well aware of its view in 1987 that “partner” and “member of a firm” included any person entitled to a share of the profits of a partnership. HMRC say that this obviously includes a life tenant of a trust where the trustee is a partner.
I wonder if this will still form the thrust of their defence?
http://forums.contractoruk.com/718788-post682.html
We can advise you that HMRC has responded to the Judicial Review proceedings stating that Section 58 is not incompatible with the UK Human Rights Act for the following main reasons:-
(a) There is no unfairness to taxpayers who used the scheme because they sought to reduce their tax liabilities below what other people not using the scheme paid.
(b) HMRC had made both the general public and professional market well aware of its view in 1987 that “partner” and “member of a firm” included any person entitled to a share of the profits of a partnership. HMRC say that this obviously includes a life tenant of a trust where the trustee is a partner.
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