Company Law

Corporate Residence (Previously titled Taxation and Corporate Residency)

By David Hughes
Bloomsbury Professional (formerly Tottel Publishing) September 2013

Specifications

ISBN-13
9781847663696
Publisher
Bloomsbury Professional (formerly Tottel Publishing)
Publication
September 2013
Format
Paperback , 350 pages
Jurisdiction
U.K. ? Countri(es) for reference only

Details

Corporate Residence explains the rules that determine whether a company is UK resident for tax purposes. The primary focus is on examining the case law test of central management and control which is used to establish the tax residence of foreign incorporated companies. Due consideration is also given to the treaty tiebreaker concept of ‘place of effective management’ in the resolution of dual residence cases.

This unique title provides a detailed analysis of the spectrum of case law concerning corporate residence, from the early cases of Attorney-General v. Alexander, Calcutta Jute, and De Beers to recent decisions including Wood v Holden, Datacom and Laerstate.

Corporate Residence covers:

  • The importance of UK residence status
  • The statutory rules
  • Central management and control: the case law test
  • Recent case law: Wood v Holden, Datacom and Laerstate
  • Corporate residence and tax treaties
  • Treaty tiebreaker provisions
  • Directors’ meetings
  • Communication between the UK and overseas
  • The application of the case law test to subsidiaries
  • The memorandum and articles of association
  • HMRC’s practice
  • Avoiding a residence enquiry
  • HMRC’s enquiry into residence: practical case studies

 

This is an essential text for tax practitioners, accountants and lawyers operating in the field of corporate residence, as well as students learning about international taxation. Practitioners from other jurisdictions where the case law test of central management and control is used will also find this an invaluable guide.

Table of Contents

Chapter 1 Corporate Residence 
Chapter 2 The Importance of UK Residence Status 
Chapter 3 The Statutory Rules 
Chapter 4 Central Management and Control (The Case Law Test) 
Chapter 5 Recent Case Law: Wood v Holden, Datacom and Laerstate 
Chapter 6 Corporate Residence and Tax Treaties 
Chapter 7 Treaty Tiebreaker Provisions 
Chapter 8 Directors’ Meetings 
Chapter 9 Communications Between the UK and Overseas 
Chapter 10 The Application of the Case Law Test to Subsidiaries 
Chapter 11 The Memorandum And Articles Of Association 
Chapter 12 HMRC Practice 
Chapter 13 Avoiding a Residence Enquiry 
Chapter 14 HMRC’S Enquiry into Residence: Practical Case Studies 
Chapter 15 Unit Trust Schemes and Certain Offshore Funds 
Chapter 16 Foreign Entity Classification 
Appendix 1 SP1/90 Company residence 
Appendix 2 Extract from INTM120070 ‘Treaty Non-Resident’ companies

About the Author

David Hughes MA (TCD), AITI, FCA, CTA (Fellow), ADIT, TEP is a tax partner at Hazlems Fenton LLP and was previously a director in the private client tax team at a top six firm of chartered accountants. David has been recommended as a leading advisor in the International Tax Review’s World Tax Guide. David was the only UK- based candidate to complete all three ADIT assessments in the year 2007. He has written numerous articles for both domestic and international tax publications and authored a Tax Digest on the new non-domicile tax regime. He has also contributed to the Chiltern PLC Yellow Tax Guide.

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