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21 Jun 2011, 1:00 pm by McNabb Associates, P.C.
The United Kingdom is a key law enforcement and counterterrorism partner of the United States. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
24 Jun 2020, 10:00 pm
HM Revenue & Customs confirmed on June 25, 2020, that the United Kingdom will adopt a European Union measure to delay the first reporting requirement under EU Council Directive 2018/822, the sixth amendment to the EU Directive on Administrative Cooperation (also known as DAC 6), by six months. [read post]
29 Apr 2015, 12:00 am by D Daniel Sokol
Agustin Diaz Pines describes Vertical Effects in Competition Law and Regulatory Decisions in Pay-Television in France, the United Kingdom and the United States. [read post]
14 Feb 2020, 2:09 pm by Race to the Bottom
Recently, Her Majesty’s Revenue and Customs (HMRC), the government department of the United Kingdom responsible for the collection of taxes, opened a contract to procure software to help identify when cryptocurrency is used to avoid paying taxes. [read post]
5 Feb 2021, 1:25 am by Shannon O'Hare
UNITED KINGDOM BREXIT UPDATE The UK and the EU reached a deal that, from 1 January 2021, governs key aspects of the trade relationship between the two parties. [read post]
11 Nov 2019, 10:30 am by David Klass
The United Kingdom tax authority, HM Revenue & Customs (HMRC), has issued revised guidance regarding the tax treatment of cryptocurrency. [read post]
In the first in our global series of regulatory podcasts focussing on conduct issues, financial services partners from Australia, United Kingdom and the United States cover the rising cost of living, vulnerable customers and consumer duty. [read post]
26 Jun 2009, 1:33 am
Vodafone2 v Commissioners for Revenue and Customs Court of Appeal “In order to interpret United Kingdom legislation concerning the profits of controlled foreign companies in a way which avoided any unlawful restriction of a taxpayer company's right to freedom of establishment, conferred by article 43 of the European Treaty, the court was entitled to introduce an additional [...] [read post]
10 Nov 2021, 5:30 am by Elin Hofverberg
The following is a guest post by Clare Feikert-Ahalt, a senior foreign law specialist at the Law Library of Congress covering the United Kingdom and several other jurisdictions. [read post]
18 Feb 2008, 2:11 am
Pirelli Cable Holding NV and others v Commissioners for Revenue and Customs [2008] EWCA Civ 70; [2008] WLR (D) 48 “The United Kingdom tax authorities had not assumed responsibility for eliminating double taxation on the dividend paid by a UK subsidiary to a parent resident in the Netherlands or Italy in circumstances where the UK had not levied corporation tax on the dividend. [read post]
19 Nov 2009, 1:45 am
Test Claimants in the Thin Cap Group Litigation v Revenue and Customs Commissioners [2009] EWHC 2908 (Ch); [2009] WLR (D) 334 "The United Kingdom’s thin capitalisation ('thin cap') provisions which remained in force, in a potentially discriminatory form, until 2004 were not proportionate to achieve the purpose of preventing abusive tax avoidance because they did not [...] [read post]
27 Feb 2008, 1:22 am
Pirelli Cable Holding NV and Others v Commissioners for Revenue and Customs Court of Appeal “Where the United Kingdom had not levied corporation tax on the dividend paid by a UK subsidiary to a parent resident in The Netherlands or Italy, the UK tax authorities would not assume responsibility for eliminating double taxation. [read post]
31 Jan 2011, 9:08 pm by Irina Tarsis
The math is simple: the rate for importing art into the United Kingdom is five percent, while the rate for importing light fittings is 17.5 percent plus 3.7 percent customs duty. [read post]