Lawson (Inspector of Taxes) v Johnson Matthey Plc: HL 8 Jul 1992

A payment which was made in order to remove a threat of insolvency was a revenue payment and so was deductible as an expense from income for tax purposes.

Citations:

Gazette 08-Jul-1992

Jurisdiction:

England and Wales

Corporation Tax

Updated: 09 April 2022; Ref: scu.82971