Property Tax Planning (e-bog) af Andrew Crossman, Crossman

Property Tax Planning e-bog

1240,73 DKK (inkl. moms 1550,91 DKK)
Previously updated by Philip Spencer at BDO LLP, Property Tax Planning, Sixteenth Edition had been revised by Andrew Crossman at BDO, with the support of the firm's expert property tax team.The book is divided into the four categories of property ownership: property investors; property dealers and developers; trading premises and private residences. Within each category all relevant tax plannin...
E-bog 1240,73 DKK
Forfattere Andrew Crossman, Crossman (forfatter)
Udgivet 23 maj 2019
Længde 440 sider
Genrer Taxation and duties law
Sprog English
Format epub
Beskyttelse LCP
ISBN 9781526507365
Previously updated by Philip Spencer at BDO LLP, Property Tax Planning, Sixteenth Edition had been revised by Andrew Crossman at BDO, with the support of the firm's expert property tax team.The book is divided into the four categories of property ownership: property investors; property dealers and developers; trading premises and private residences. Within each category all relevant tax planning areas are outlined chapter by chapter, with reference to legislation and case law.Newly updated, as of Finance (No.3) Bill 2017 - 2019, to include:Commentary on income received by non-UK resident companies from UK property rentals being chargeable to corporation tax, rather than income tax, from 6 April 2020Non-resident capital gains on any UK immovable property (and land-rich companies), being subject to tax from 6 April 2019 and the impact on widely-used structuresAlso includes the following:Changes to the substantial shareholding exemption Changes to capital allowances legislationCarry forward loss rules/changes to group relief The effective replacement of the worldwide debt cap with the Corporate Interest Restriction rules from 1 April 2017 Commentary on the hybrid rules that can entirely prevent tax deductions for financing costsChanges to trading in land and transactions in land anti-avoidance provisionsCommentary around avoidance practices and HMRC success in 2016 and 2017 with reference to case law.