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Inland Revenue Commissioners v Laird Group plc: CA 30 Apr 2002

The taxpayer had sources of foreign income. Arrangements were made to take the benefit through the payment of interim dividends, which it intended to use to set off against liability for advance corporation tax. The Commissioner contended that these were a ‘transaction in securities’ Held: The payment of an interim dividend did fall within the … Continue reading Inland Revenue Commissioners v Laird Group plc: CA 30 Apr 2002