Our Glasgow tax litigation team has impressive breadth and wealth of experience in advising on the full range of disputes related to taxes in all of the United Kingdom and around the world. Working together with our attorneys in the United States, Canada, Europe, Latin America, Australia and Africa and Asia, handle two litigation national and cross-border for a number of prominent financial institutions and corporations.
Working in close collaboration with our financing of assets and litigation and resolution lawyers dispute, as well as with lawyers across our key industry sectors, we can offer a complete service for each dispute approach. Customers will also benefit from our in-depth commercial and legal knowledge of their industry, in particular: financial institutions; energy; transport; technology and innovation; and life and health sciences.
Extensive experience in audit and investigations carried out by the tax authorities of the United Kingdom and the authorities around the world.
Experience in the management of litigation based on the taxes of all kinds and all levels; you will notice that we are flexible, robust and determined in his name.
Knowledge of the industry, allowing us to offer extra help to customers of a deep knowledge of the sector of the industry and the commercial context of the relevant facts and laws; This strengthens our ability to trade intelligently, and if you fail the resolution, enable us to judge the most effective and appropriate strategy dispute.
Our areas of work are:
alternative resolution of tax matters
risk management (including structured transactions tax)
agreement with the tax authorities
tax audits and investigations.
Our recent work
Advise the taxpayer, a special leasing purpose within Lloyds Banking Group company, and win in the first instance in the First-tier Tribunal hearing. This was the first victory for taxpayers in a case of "principal purpose" for more than 30 years and that the case will impact the broader tax world, since there are very few decisions on the implementation of the "primary purpose" test.
HSBC to advise in disputes relating to the compatibility of the SDRT regime of the United Kingdom for receipts (ADR) American deposit with Community legislation. This case has not only brought important for HSBC refunds, but also a series of corporate taxpayers. HMRC have also had to change its interpretation of the law to comply with the ruling.
Contact us, For first free advice, Speak to one of our highly qualified Caseworkers/solicitors/officers/ACCA on +44 (0)141 628 8277
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