Originally posted by OnYourBikeGB
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No To Retro Tax – Campaign Against Section 58 Finance Act 2008
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WG - victim or aggressor
Originally posted by centurian View PostDepends on how strong the evidence is/was. If it just fell a few inches short of the bar for criminal conviction, then the prosecution have little cause to explain themselves - they have to prosecute if the evidence is there.
However, if the case is/was weak/non-existent - and it can be shown the prosecution was done for malicious purposes (which is was I think BP is suggesting), then yes, absolutely. It's a clear abuse of power.
Aggressive tax avoidance by its very nature sails very close to the wind in terms of fraud/evasion, so it isn't beyond the realms of possibility that he has stepped over that line. Likewise, I can also believe the claim that this is/was a speculative prosecution designed to simply shake the trees.
Gittins v Central Criminal Court [2011] EWHC 131 (Admin) (14 January 2011)Comment
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Originally posted by stonehenge View PostEveryone here maybe but I wouldn't bank on the general public (or a jury) grasping the distinction.
However, we are not fraudsters, we are not criminals and we are not tax evaders. People can think what they like, but we did nothing illegal.Comment
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Originally posted by PlaneSailing View PostTo be clear, there is no such thing as 'aggressive tax avoidance' . HMRC have made this phrase up to justify their actions.
I have not avoided any tax. I have paid exactly what was due under the law and detailed this on my tax returns.Comment
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Groupthink:
Originally posted by honeyridges View PostI like it - and actually pretty accurate when describing for example IR35.
"I was simply attempting to mitigate against the Government's latest round of aggressive taxation".
I was simply attempting to mitigate against the Government's latest and wholly artificial round of aggressive taxation.Comment
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Liverpool Crown Court Listings, hearings, cases & details
It says witness evidence concluded - but not for which side. grrrrrrrrComment
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Originally posted by OnYourBikeGB View PostComplete nonsense. If that was true then nearly every major corporation in the world would be walking a very thin line.
For most avoidance schemes, in order to make them work, it usually involves exaggerating a key fact (i.e. a "loan", film "investment" etc.). Tax avoidance is legal - but making a false statement in order to claim a tax avoidance relief is fraud - and it can be a very fine line between exaggeration and falsehood. Proving it to a criminal standard is incredibly tough.
However, that was not the case with BN66 - as I understand it, it was a purely down to legal interpretation - something to do with the difference between a creator of an offshore trust vs member of a trust. There was no exaggeration involved with BN66 schemes - it was just simple exploitation of very badly worded law. Hence this is the wrong thread to debate this, so I'll move on.Comment
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Originally posted by BrilloPad View PostLiverpool Crown Court Listings, hearings, cases & details
It says witness evidence concluded - but not for which side. grrrrrrrrI couldn't give two fornicators! Yes, really!Comment
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Originally posted by BolshieBastard View PostIn UK Court Cases, I understand the Prosecution presents their case first followed by the Defence's rebuttal. So witness evidence should have been the Prosecution's.
Anyway - worth watching next week.Comment
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Originally posted by BrilloPad View PostAgreed. But surely the defence calls witnesses too?
Anyway - worth watching next week.I couldn't give two fornicators! Yes, really!Comment
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