In doing so, they often incur the wrath of the Canada Revenue Agency, which wants to collect as much tax as it can and views fancy tax
avoidance schemes with deep suspicion.
Not exact matches
MATCH of the Day star Danny Murphy has been clobbered
with a # 2.5 million bill after investing in a tax -
avoidance scheme.
Congressman Rangel lacks clean bill of health: as he's tarnished
with tax
avoidance schemes in his own back ground, commenting on NYC Comptroller Candidate Eliot Spitzer who has a tarnished reputation to say the least, has me asking can we please hear from someone
with a clean political rap sheet.
At present, those who sign up to tax
avoidance schemes pay what they think they can get away
with, and then it is up to HMRC to claw the full amount back through the courts — which can take years.
ShareBetter has countered
with spots accusing the company of engaging in tax
avoidance schemes and its hosts of engaging in racial discrimination.
An SNP spokesman said: «Phil Boswell has always made declarations on his register of interests in line
with guidelines and is committed to ending tax
avoidance schemes.»
Naturally conservative and
with no inclination to become embroiled in a tax
avoidance scheme, he was convinced that the existing bureaucrary could and should take charge of such matters.
The Superb is also equipped
with crash
avoidance technologies awarded under the Euro NCAP Advanced Rewards
scheme such as Multi Collision Brake and Crew Protect Assist.
The Third Circuit Court of Appeals agreed
with the Appellate Practice Group that the benefit plans were sophisticated tax -
avoidance schemes marketed to certain types of businesses, and not the general public.
Spears magazine has carried an article by Tessa Lorimer, GSC Solicitors LLP, counselling the super rich
with regards the current attitude of the HMRC to marketed tax
avoidance schemes.
HMRC is taking an increasingly aggressive approach to tax recovery, which is especially evident in relation to tax
avoidance schemes,
with challenges raised on a regular basis.
He has acted for the liquidator in Edennote v Terry Venables; successfully resisted the winding - up of Stock, Aiken & Waterman; acted for the preference shareholders in the Barings dispute; advises on claims involving the transaction
avoidance provisions of the Insolvency Act; appeared in Edward Klempka: In Re Parkside — important authority on the question of what amounts to a preference when dealing
with common directorships; acted for the Cayman Islands» appointed SPC Receiver in the # 100m Axiom LItigiation Funding Fraud case which involved the first case of a SPC Receiver being recognised under the Cross-Border Insolvency Regulations 2006; has recently advised on several
schemes of arrangement; regularly advises on recovery of assets in an insolvency context using the transaction
avoidance rules.