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Bloomsbury Professional capital gains tax 2021/22 / Jacquelyn Kimber, Chris Erwood and Iris Wünschmann-Lyall.

By: Contributor(s): Material type: TextSeries: Core Tax AnnualsPublisher: London [England] : Bloomsbury Professional, 2021Distributor: [London, England] : Bloomsbury Publishing, 2021Description: 1 online resource (672 pages)Content type:
  • text
Media type:
  • computer
Carrier type:
  • online resource
ISBN:
  • 9781526518620
  • 9781526518606
Subject(s): Genre/Form: Additional physical formats: Print version:: No titleDDC classification:
  • 343.4105245 23
LOC classification:
  • KD5550 .K563 2021eb
Online resources:
Contents:
Chapter 1 Introduction to capital gains tax -- Chapter 2 Disposals -- Chapter 3 Computation of gains and losses -- Chapter 4 Particular assets -- Chapter 5 Foreign issues -- Chapter 6 Partnerships -- Chapter 7 Administration of an estate -- Chapter 8 Capital gains tax ? settlements -- Chapter 9 Companies -- Chapter 10 Land and property -- Chapter 11 Main residence relief -- Chapter 12 Business asset disposal relief (formerly entrepreneurs' relief) -- Chapter 13 Hold-over relief for gifts -- Chapter 14 Roll-over relief for business assets -- Chapter 15 Incorporation of a business -- Chapter 16 Venture capital reliefs -- Chapter 17 Investors' relief -- Chapter 18 Other reliefs -- Chapter 19 Tax planning versus tax avoidance
Summary: "Taking a practical approach to the subject and concentrating on the most commonly found transactions and reliefs, Capital Gains Tax 2021/22 is an invaluable title for those who deal with capital gains tax on a regular basis. The latest edition examines the current legislation and HMRC guidance in a clear, comprehensive style and explores the following: - Issue of nudge letter to prompt offshore disclosure - HMRC consultation into how better to support taxpayers to fulfil their offshore tax obligations/compliance - Case law ? - HMRC v Embiricos - the Upper Tribunal reversed the FTT decision and determined that HMRC cannot issue a partial closure notice in respect of an enquiry into a taxpayer's claim to the remittance basis without specifying the amount of tax due - The Commissioners for HM Revenue and Customs v (1) The Quentin Skinner 2005 Settlement L (2) The Quentin Skinner 2005 Settlement R (3) The Quentin Skinner 2005 Settlement B (Trusts and qualifying period for BADR) - Stephen Core v HMRC and Phillips v HMRC (Main residence relief) The commentary in this title includes numerous examples, updated to the current tax year, and is cross-referenced to the tax legislation as well as to the HMRC manuals and to other HMRC guidance. This accessible reference guide has a user-friendly structure with 'signposts' at the beginning of each chapter to summarise key topics and 'focus points' throughout to highlight important issues, as well as numerous worked examples demonstrating how to apply the main principles in practice."-- Provided by publisher.
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Chapter 1 Introduction to capital gains tax -- Chapter 2 Disposals -- Chapter 3 Computation of gains and losses -- Chapter 4 Particular assets -- Chapter 5 Foreign issues -- Chapter 6 Partnerships -- Chapter 7 Administration of an estate -- Chapter 8 Capital gains tax ? settlements -- Chapter 9 Companies -- Chapter 10 Land and property -- Chapter 11 Main residence relief -- Chapter 12 Business asset disposal relief (formerly entrepreneurs' relief) -- Chapter 13 Hold-over relief for gifts -- Chapter 14 Roll-over relief for business assets -- Chapter 15 Incorporation of a business -- Chapter 16 Venture capital reliefs -- Chapter 17 Investors' relief -- Chapter 18 Other reliefs -- Chapter 19 Tax planning versus tax avoidance

Abstract freely available; full-text restricted to individual document purchasers.

"Taking a practical approach to the subject and concentrating on the most commonly found transactions and reliefs, Capital Gains Tax 2021/22 is an invaluable title for those who deal with capital gains tax on a regular basis. The latest edition examines the current legislation and HMRC guidance in a clear, comprehensive style and explores the following: - Issue of nudge letter to prompt offshore disclosure - HMRC consultation into how better to support taxpayers to fulfil their offshore tax obligations/compliance - Case law ? - HMRC v Embiricos - the Upper Tribunal reversed the FTT decision and determined that HMRC cannot issue a partial closure notice in respect of an enquiry into a taxpayer's claim to the remittance basis without specifying the amount of tax due - The Commissioners for HM Revenue and Customs v (1) The Quentin Skinner 2005 Settlement L (2) The Quentin Skinner 2005 Settlement R (3) The Quentin Skinner 2005 Settlement B (Trusts and qualifying period for BADR) - Stephen Core v HMRC and Phillips v HMRC (Main residence relief) The commentary in this title includes numerous examples, updated to the current tax year, and is cross-referenced to the tax legislation as well as to the HMRC manuals and to other HMRC guidance. This accessible reference guide has a user-friendly structure with 'signposts' at the beginning of each chapter to summarise key topics and 'focus points' throughout to highlight important issues, as well as numerous worked examples demonstrating how to apply the main principles in practice."-- Provided by publisher.

Compliant with Level AA of the Web Content Accessibility Guidelines. Content is displayed as HTML full text which can easily be resized or read with assistive technology, with mark-up that allows screen readers and keyboard-only users to navigate easily.

Mode of access: World Wide Web.

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