Site icon swarb.co.uk

Mark Higgins Rallying (A Firm) v Revenue and Customs: FTTTx 20 May 2011

Partnership – place of control and management – whether non-UK domiciled partner entitled to remittance basis for his share of firm’s non-UK source income – s 112(1A) ICTA 1988

[2011] UKFTT 340 (TC)
Bailii
England and Wales

Income Tax

Updated: 09 November 2021; Ref: scu.443060

Exit mobile version