We use cookies to customise content for your subscription and for analytics.
If you continue to browse Lexology, we will assume that you are happy to receive all our cookies. For further information please read our Cookie Policy.
Lexology logo
  Request new password

Search results

Order by most recent / most popular / relevance

Results: 1-10 of 52

VAT on company acquisition costs the BAA case

  • Wragge & Co LLP
  • -
  • United Kingdom
  • -
  • April 9 2013

The recent Court of Appeal (CA) judgment in BAA Ltd v HMRC 2013 EWCA Civ 112 has emphasised the importance of considering VAT recovery on advisers'

No recovery for VAT on takeover deal fees

  • Baker & McKenzie
  • -
  • United Kingdom
  • -
  • March 29 2013

The UK Court of Appeal has held in the case of BAA plc that VAT on a holding company's deal fees for acquiring target company shares is not

BAA’s appeal against denial of input VAT recovery on bid costs dismissed

  • RPC
  • -
  • United Kingdom
  • -
  • March 28 2013

The Court of Appeal has dismissed BAA's appeal against the Upper Tribunal's decision in BAA Limited v HMRC 2013 EWCA Civ 112, that VAT input tax on

UK Budget 2013 what's in it for private equity?

  • Squire Sanders
  • -
  • United Kingdom
  • -
  • March 20 2013

Introduction The recent announcement of Budget 2013 provides a good opportunity to overview the key tax issues facing the private equity community

Recent developments for the fourth quarter 2012

  • Baker & McKenzie
  • -
  • Austria, Belgium, Canada, China, Ireland, Luxembourg, Malaysia, Morocco, Philippines, Singapore, South Korea, Spain, United Kingdom, USA
  • -
  • March 18 2013

The North American Global Equity Services ("GES") practice group is pleased to provide the current edition of our Clients and Friends Newsletter

A summary of major developments in key areas

  • Herbert Smith Freehills LLP
  • -
  • Australia, European Union, Indonesia, Myanmar, United Kingdom
  • -
  • March 7 2013

The Financial Reporting Council (FRC) and institutional bodies have published the following guidance in relation to corporate governance and

Luxembourg: doing deals in the Grand Duchy, an English lawyer's perspective

  • Hogan Lovells
  • -
  • Luxembourg, United Kingdom
  • -
  • January 2 2013

Luxembourg offers one of the most flexible and attractive tax regimes in the EU with a strong and ever-expanding double-tax treaty network and attractive

Carry planning for PE principals

  • Ogier
  • -
  • United Kingdom
  • -
  • December 11 2012

Planning for UK residentnon domiciliaries (RND) can with the appropriate tax advice and offshore structure achieve significant tax savings

EMI - impact of investing into companies with existing schemes

  • Wragge & Co LLP
  • -
  • United Kingdom
  • -
  • October 22 2012

If you are investing into a company which has an existing 'EMI' share option scheme for employees, you need to check whether the terms of your investment may impact on the tax status of those options (and any future options the company may look to grant

UK pensions: summer round-up

  • Dentons
  • -
  • United Kingdom
  • -
  • September 11 2012

This summer has seen several pension issues making the news