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Girvan (Inspector of Taxes) v Orange Personal Communications Services Ltd: ChD 3 Apr 1998

Interest which was retained by a bank until closure of the account under a firm arrangement to that effect was not taxable as it accrued but only when it came to be due to be paid. Income did not normally arise until it was payable.

Citations:

Gazette 20-May-1998, Times 22-Apr-1998, [1998] 70 TC 682, [1998] STC 567

Statutes:

Income and Corporation Taxes Act 1988 64 70(1)

Jurisdiction:

England and Wales

Corporation Tax, Income Tax

Updated: 14 August 2022; Ref: scu.80848

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