Revenue and Customs v Murray Group Holdings Ltd and Others; UTTC 8 Jul 2014

References: [2014] UKUT 292 (TCC)
Links: Bailii
UTTC Income Tax and NIC – emoluments/earnings – tax avoidance scheme – remuneration trust – employees’ individual sub-trusts – ‘protectors’ – (1) whether payments into sub-trusts were emoluments/earnings subject to PAYE and NIC; -No (2) whether loans from sub-trusts were emoluments/earnings subject to PAYE and NIC; -No (3) ‘Ramsay’ principle – whether FTT erred in law; – No – Case remitted to FTT to determine certain matters, but otherwise appeal dismissed.