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Revenue and Customs v Hargreaves Lansdown Asset Management Ltd: UTTC 9 Aug 2019

INCOME TAX – payment of ‘loyalty bonus’ by platform service provider to investors-whether liability to deduct tax from payments-whether payments annual payments-whether payments possessed the quality of recurrence-whether payments represented pure income profit-s 683 ITTOIA 2005.

Citations:

[2019] UKUT 246 (TCC)

Links:

Bailii

Jurisdiction:

England and Wales

Income Tax

Updated: 07 September 2022; Ref: scu.643788

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