Category: United Kingdom

British Virgin Islands suffers amid push against money laundering

High quality global journalism requires investment. Please share this article with others using the link below, do not cut & paste the article. See our Ts&Cs and Copyright Policy for more detail. Email ftsales.support@ft.com to buy additional rights. http://www.ft.com/cms/s/0/3fbed922-3d51-11e4-871d-00144feabdc0.html#ixzz3Eo63WbfR The British Virgin Islands has long attracted Chinese companies looking to… – Continue reading

Conservative MP implicated in tax avoidance scheme

A CONSERVATIVE MP invested in an alleged tax avoidance scheme currently under investigation by HM Revenue & Customs. Conservative Geoffrey Cox QC – a top lawyer at Thomas More Chambers – is one of 230 who put cash into Pheonix Film Partners, run by Ingenious Media, the Mirror reports. Pheonix… – Continue reading

Spelling out the high cost of tax inversions

Company after company are fleeing tax oppression in the United States by seeking mergers and acquisitions in lower corporate-tax rate nations. Ireland with a tax rate of 12.5 percent and the United Kingdom with 20 percent, in particular, are attractive alternatives to the United States with a world-leading corporate-tax rate… – Continue reading

Fears over tax loophole as Scottish independence could see thousands of wealthy people start claiming ‘non-domicile’ status

Non-doms would only have to have a father born in Scotland, expert warns Status only worthwhile for those with assets worth several million Scottish independence could see thousands of wealthy people start to claim ‘non-domicile’ tax status, experts predict. Mark Davies, a tax expert at website Nondom, said: ‘To claim… – Continue reading

Britain’s highest-earning MP invests in alleged tax avoidance scheme under investigation by HMRC

Britain’s highest-earning MP invests in alleged tax avoidance scheme under investigation by HMRC Tory MP Geoffrey Cox is one of hundreds of wealthy figures, celebrities and sports stars putting cash into Phoenix Film Partners LLP Britain’s highest-earning MP has invested in an alleged tax avoidance scheme being investigated by officials…. – Continue reading

How to Avoid Foreign Dividend Withholding Tax

Using foreign stocks to diversify your portfolio can be a good move for investors looking to collect dividends and protect capital. But owners of dividend paying foreign stocks can find themselves being hit by another type of tax: foreign dividend withholding tax. Keeping as much of your dividends as possible… – Continue reading

FATCA in Europe: understanding grandfathering

Withholding on US source income under FATCA started on 1 July 2014.  The withholding will apply to gross “proceeds of sale” of securities bearing US source income (which includes repayment of principal on a loan to a US borrower) and, potentially, to “foreign passthru payments” from January 2017. Now that… – Continue reading

BNY Mellon backs London to lead European race for offshore RMB

London and Singapore are fast closing the gap on Hong Kong in the race to become centres for offshore renminbi business and capitalise on Beijing’s ambition to make the RMB a global currency. Fred DiCocco, Asia-Pacific head of sales & relationship management for BNY Mellon’s Treasury Services business, says London… – Continue reading

FATCA responsible officer function obsolete for Cayman funds

Outsourcing the responsible officer (RO) function under the Foreign Account Tax Compliance Act (FATCA) offers limited value to Cayman-Islands’ domiciled fund managers.The Model one Intergovernmental Agreement (IGA) between the Cayman Islands and the US does not stipulate that a responsible officer is required. The responsible officer title is a feature… – Continue reading

Canada, UK Tax Authorities To Deepen Cooperation

The tax authorities of the United Kingdom and Canada are to deepen cooperation to establish a stronger mutually beneficial relationship, senior officials from both Government have said. Canada’s Revenue Minister, Kerry-Lynne D. Findlay, met with David Gauke, the UK’s Financial Secretary to the Treasury, in London on September 8. Findlay… – Continue reading

United Kingdom: Recent Chinese Tax Changes Affecting The Shipping Industry

On 1 August 2014, the “Provisional Measures on the Collection of Tax on Non-Resident Taxpayers Engaged in International Transportation Business” (2014 No.37 Notice, the “New Regulations”) came into force. The New Regulations could have a significant impact on owners as they seek to streamline and tighten up the regulations in respect of… – Continue reading

Government of Canada Strengthens Collaboration With the United Kingdom

Minister of National Revenue concludes two days of meetings in London LONDON, ENGLAND–(Marketwired – Sept. 9, 2014) – Canada Revenue Agency The Honourable Kerry-Lynne D. Findlay, P.C., Q.C., M.P., Minister of National Revenue, today wrapped up a successful two-day trip to London, England. During her visit, Minister Findlay met with David… – Continue reading

‘Vaccine’ tax avoidance scheme loses in court

A cynical tax avoidance scheme which “abused the reliefs” offered for research into life-saving vaccines to claim back £77m, has been rejected at a second tribunal. HMRC said investors in the scheme used a Jersey registered limited partnership which claimed to be involved in creating and exploiting intellectual property from… – Continue reading

Organisation for Economic Co-operation and Development (OECD) Publishes its Standards for the Automatic Exchange of Information

On July 21, the Organisation for Economic Co-operation and Development (OECD) published its Standard for Automatic Exchange of Financial Account Information in Tax Matters. The report contains the OECD’s model competent authority agreement (CAA), the common standard on reporting and due diligence for financial account information (CRS) and commentaries on both the CAA and CRS.The… – Continue reading

HMRC seeks severe fines for tax evaders

High quality global journalism requires investment. Please share this article with others using the link below, do not cut & paste the article. See our Ts&Cs and Copyright Policy for more detail. Savers and investors who have kept assets offshore should make use of disclosure facilities to settle with the… – Continue reading

An offshore bond could be the key to a better return on your money

Such bonds have advantages for expats who are moving from a low-tax to a high-tax environment, explains Charlotte Beugge Interest rates on savings accounts are at such low levels that many expats will be looking for an alternative home for their money. Currently, the best rate expat savers can get… – Continue reading

Tax Dodger Amnesty Loophole Closed By HMRC

The constant battle raging between clever lawyers and HM Revenue & Customs (HMRC) has led to the goal posts moving on a tax amnesty offer. After alleged abuses of the Employee Benefit Trust settlement arrangement (EBT) the scheme will be closed early, denying taxpayers the chance to settle their affair… – Continue reading

No place to hide from the taxman – Seychelles signs automatic tax information sharing agreement

(Seychelles News Agency) – The Seychelles has become an early adopter of an agreement launched by the G5 group of countries – the United Kingdom, France, Germany, Italy and Spain – to automatically disclose details of individuals who have taxable income kept in offshore accounts. According to a press statement by Her Majesty’s… – Continue reading

New law to help name and shame tax evaders

HMRC looking at new laws that mean failing to declare offshore becomes a crime By Michelle McGagh, Sep 3, 2014 Tales of benefit cheats regularly hit the headlines with salacious details of how they’ve spent their ill-gotten gains – typically foreign holidays and flash cars – but we never seem… – Continue reading

Time running out to own up to tax avoidance

A useful – and legal – scheme for people who haven’t paid their dues to the taxman is being restricted, reports Alison Steed Expats who have failed to pay their taxes may find the attractive option of using the Liechtenstein Disclosure Facility (LDF) blocked, thanks to changes made to it… – Continue reading

Luxembourg first country to issue sovereign Sukuk in the Eurozone

On 9 July 2014, Luxembourg Parliament voted a law aimed at allowing the issuance of the first Luxembourg sovereign Sukuk in response to the recent surge in investor demand for Sharia-compliant instruments. In a nutshell, the law authorizes a sale and buy-back transaction of real estate assets to a Special… – Continue reading

Mauritius: The Privy Council Interprets Key Provisions Of Mauritian Anti-Money Laundering Legislation

In Beezadhur v The Independent Commission against Corruption and anor [2014] UKPC 27, the Privy Council dismissed an appeal by a retired nurse who was charged with and found guilty by the Intermediate Court of Mauritius of five offences under sections 5(1) and 8 of the Financial and Anti-Money Laundering Act 2002… – Continue reading

The Real Tax Benefits of Inverting to Canada

On August 26, Burger King announced that it entered into an agreement to acquire Tim Hortons, Inc., the Canadian coffee-and-doughnut chain, in a transaction that will be structured as an “inversion” (i.e., Burger King will become a subsidiary of a Canadian parent corporation).  The deal is expected to close in 2014… – Continue reading

The Big Banks Organise Massive Tax Evasion on an International Scale

Another example of the “Too Big to Jail” doctrine: International tax evasion and fraud organised by UBS, Switzerland’s biggest bank. UBS, which had to be saved from failure in October 2008 by massive injections of Swiss public money, was involved in the LIBOR manipulation scandal, the currency markets manipulation scandal… – Continue reading

Black Money issue – SIT on a Wild Goose Chase?

More to the point, extant global financial architecture facilitates transfer of illicit money through the Hawala route first to a Tax Haven, only to launder it in specialised locations like London. “There are 42,800 persons – let me repeat, only 42,800 persons – who admitted to a taxable income exceeding… – Continue reading

Facing up to Fatca

This article was first published in the 2nd quarter 2014 edition of Personal Finance magazine. Most people accept that they have to pay taxes in their country of residence. But citizens of the United States and green card holders who live outside that country – even if they have never… – Continue reading

Tax Fugitives Brought To Justice By HMRC

The organisation hails the capture of five more of its most wanted as “excellent news for all honest taxpayers”. Five of the UK’s top tax fugitives have been brought back to the UK to face justice following a global HM Revenue and Customs (HMRC) initiative, the organisation has said. HMRC… – Continue reading

Govt eyes more tax holiday deals

FRANCISTOWN: Government’s negotiations with other countries to sign Double Taxation Avoidance Agreements (DTAA) are underway to ensure investor benefits from tax holiday incentives continue, Boniface Mphetlhe of Ministry of Trade and Industry (MTI) has said. The Deputy Permanent Secretary in MTI, Mphetlhe, was speaking on the topic of Botswana Investment… – Continue reading

Investec offers One Place for banking by wealthy clients

WEALTHY South Africans’ banking needs have changed in the past decade as exchange-control regulations have eased, and they have found themselves forging complex relationships with multiple global financial service providers. A wealthy South African might have a private bank and investment banking relationship domestically, as well as offshore banking and… – Continue reading

101 Countries Sign Up For FATCA Network

Foreign Account Tax Compliance Act (FATCA) has been in force for a month and still more countries are joining the tax network. So far, 101 countries and financial jurisdictions have either signed or agreed to join FATCA. FATCA is aimed at identifying US taxpayers with offshore bank accounts and investments. Overseas… – Continue reading

BEST OF 2014 SO FAR: Hostile Tax Legislation Is Driving Non-Doms Out Of The UK – Stephenson Harwood

(Editor’s note: As the summer holidays wind down, we thought readers might appreciate a chance to revisit some of the stronger, and more controversial, items that have been published on this news channel since the start of what has been an eventful year.) Since the financial crisis, governments worldwide have… – Continue reading

‘Tax haven’ Monaco experiences luxury-housing boom

LONDON: Monaco, the tax haven on the French Riviera, is experiencing a luxury-housing boom that includes the world’s most expensive penthouse as developers prepare for an influx of millionaires and billionaires escaping higher taxes or a loss of banking privacy.A “flow” of new residents is emigrating from Switzerland, where financial-secrecy… – Continue reading

Double Tax Arrangements in Nigeria: Imperatives for a wider network

THE National Tax Policy (NTP) has identified double taxation as one of the major hindrances to the growth of the Nigerian economy. Double taxation has become an issue paramount to investors and top executives of multinationals as income is generally taxable both in source and residence countries. In order to… – Continue reading

G20 to press for ‘rapid timeline’ for exchange of tax information

NEW DELHI: G-20, a group of developed and developing nations, is likely to press for adoption of “rapid timelines” by different countries for automatic sharing of information with a view to curb tax evasion. The issue of automatic sharing of tax information would figure prominently during the meeting of G-20… – Continue reading

Review of patent tax regimes in EU has Irish support

Ireland can adopt ‘wait-and-see’ approach on tax breaks, says Department of Finance Ireland supports the EU review of all patent box regimes – under which certain member states offer tax breaks for intellectual property – and has decided to take a “wait-and-see approach” on the issue until guidance is provided… – Continue reading

First landmark ruling on Indian indirect transfer taxes! Delhi High Court restricts their applicability

The Delhi High Court upholds the non-taxability of gains from sale of shares of overseas entities by the Copal Group to the Moody’s Group. Interpretation of the indirect transfer tax provisions in a restrictive manner. 50% threshold for substantiality based on guidance by OECD/ UN material and Shome Committee Report… – Continue reading