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Nicholas Pike v HM Revenue and Customs; UTTC 10 May 2013

References: [2013] UKUT 225 (TCC)
Links: Bailii
Coram: Norris J
UTTC INCOME TAX – claim for loss on disposal of loan stock – whether loan stock a ‘relevant discounted security’ – FA 1996, Sch 13, para 3 – whether additional payment on redemption of loan stock was interest – yes – appeal dismissed.
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