Agreed webberg.
An Isle of Man company, owned by a BVI company which in turn is owned by a Maltese company is recommending another company (the background of which is as yet unknown) which suggests that I enter into a scheme to mitigate a tax liability caused by my participation in a scheme.
If it looks like a duck, walks like a duck and quacks like a duck, then sadly its likely to be a duck and if a QC says otherwise then I suspect the qualifications attached to his opinion are significantly longer than the opinion itself.
An Isle of Man company, owned by a BVI company which in turn is owned by a Maltese company is recommending another company (the background of which is as yet unknown) which suggests that I enter into a scheme to mitigate a tax liability caused by my participation in a scheme.
If it looks like a duck, walks like a duck and quacks like a duck, then sadly its likely to be a duck and if a QC says otherwise then I suspect the qualifications attached to his opinion are significantly longer than the opinion itself.
Comment