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15 results for Tax disputes & investigationsCLEAR FILTERS
The Court unanimously decided that the taxpayer, Jason Wilkes, succeeded on all points. The Court of Appeal’s decision in this case is final. The retrospective change in tax law in Finance Act 2022, however, means the Court’s decision will not automatically determine the outcome of the 400 other HICBC cases before the First-tier Tribunal – and it is not relevant at all to the hundreds of thousands of other affected taxpayers.
James Austen, Partner and Head of Tax Dispute, acting for Mr Wilkes, comments ahead of the hearing.
As part of Jeremy Hunt’s reversal of many aspects of the mini-Budget, it was announced that the planned IR35 changes are to be scrapped. We take a look at what this means and what the future holds for IR35.
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