Taxation logo taxation mission text

Since 1927 the leading authority on tax law, practice and administration

Meeting points

03 August 2006
Issue: 4069 / Categories: Events

LexisNexis Conference: 'Tax Avoidance in 2006', 15 May 2006. The second instalment of points reported by Matthew Hutton, Chartered Tax Adviser.

Speakers quoted:
Patrick Cannon, Barrister, 15 Old Square
Pete Miller, Director, National Tax, Ernst & Young LLP
Paul Morton, Head of Group Tax, Reed Elsevier
Martin Scammell, Partner, Ernst & Young LLP
Geoff Lloyd, Director, Central Compliance at HMRC
Timothy Lyons QC, Barrister, 15 Old Square

LexisNexis Conference: 'Tax Avoidance in 2006' 15 May 2006. The second instalment of points reported by Matthew Hutton Chartered Tax Adviser.

Speakers quoted:
Patrick Cannon Barrister 15 Old Square
Pete Miller Director National Tax Ernst & Young LLP
Paul Morton Head of Group Tax Reed Elsevier
Martin Scammell Partner Ernst & Young LLP
Geoff Lloyd Director Central Compliance at HMRC
Timothy Lyons QC Barrister 15 Old Square
Aidan O'Carroll National Head of Tax Ernst & Young LLP

'Abuse' and Ramsay

Patrick Cannon summarised the recent ECJ decision in Halifax plc v CCE [2006] STC 919 as applying the concept of 'abuse' where (a) the taxpayer obtains a tax advantage which is contrary to the purpose of the relevant legislation and (b) objective factors show that obtaining that advantage is the essential aim of the transaction. This doctrine currently applies only...

If you or your firm subscribes to Taxation.co.uk, please click the login box below:

If you are not a subscriber but are a registered user or have a free trial, please enter your details in the following boxes:

Alternatively, you can register free of charge to read a limited amount of subscriber content per month.
Once you have registered, you will receive an email directing you back to read this item in full.

Please reach out to customer services at +44 (0) 330 161 1234 or 'customer.services@lexisnexis.co.uk' for further assistance.

back to top icon