A new life in the sun…

Your client has decided to live abroad but, have they ‘actually’ left the UK and sorted out their UK tax affairs? If not, Big Brother (i.e. HMRC) will be watching them!
Montpelier Judgment – The Loan Charge Tax and Avoidance Schemes

HMRC still has many Loan Charge cases outstanding and is about to start pursuing them with vigour once more now they have more staff to do so.
Who’s in control of your client’s tax investigation?

Knowing when a tax investigation is out of control isn’t easy but there are a number of triggers that can ring alarm bells.
How do you tell your clients to stop procrastinating and deal with their tax investigation?

Few people relish a tax investigation. Many taxpayers bury their head in the sand. Find out how you and your clients should deal with a tax investigation.
R&D Fraud Crackdown – Who should respond to HMRC or handle your client’s R&D queries or investigation?

Businesses have seen strongly worded letters landing on their desks around tax fraud, there is no doubt that enquiries will be raised around past R&D claims.
Do your clients mix business with pleasure?

If a business owner is on holiday but working is it an allowable tax deduction and what happens if HMRC investigate?
No invoice. No tax deduction.

For HMRC and their advisors, every tax investigation and case is different and its outcome directly dependant on all the relevant facts. Find out how you can still get a tax deduction from HMRC for an invoice you may not have.
Why is HMRC so interested in your client’s hobbies?

How do your clients separate their personal and business lives. Do they put things ‘through the company’ that relate to their or their family’s hobbies?