LexisNexis Butterworths conference, 11 May 2005, 'Tax Planning after the New Disclosure Rules', reported by Ralph P Ray CTA (Fellow), BSc(Econ), TEP, solicitor,tax consultant with Wilsons of Salisbury.
Speakers:
Patrick Cannon LLB, BCL, CTA(Fellow), Barrister, 24 Old Buildings, Lincoln's Inn
Ray McCann formerly Head of HM Revenue & Customs Avoidance Intelligence Unit
Paul Morton FTII, then Head of Tax, Oil Products — Royal Dutch/Shell Group, now Head of Group Tax, Reed Elsevier plc
LexisNexis Butterworths conference, 11 May 2005, 'Tax Planning after the New Disclosure Rules', reported by Ralph P Ray CTA (Fellow), BSc(Econ), TEP, solicitor,tax consultant with Wilsons of Salisbury.
Speakers:
Patrick Cannon LLB, BCL, CTA(Fellow), Barrister, 24 Old Buildings, Lincoln's Inn
Ray McCann formerly Head of HM Revenue & Customs Avoidance Intelligence Unit
Paul Morton FTII, then Head of Tax, Oil Products — Royal Dutch/Shell Group, now Head of Group Tax, Reed Elsevier plc
Andrew Hubbard, Tax Director, Tenon Group Plc
John Tallon QC, Barrister, Pump Court Tax Chambers
Chairman: Tim Ambrose, Tax Partner,
PricewaterhouseCoopers
Patrick Cannon said that disclosure to HMRC of transactions/arrangements requires: