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无论您是一家市值达数百万英镑的企业还是一家初创企业,我们都可以为您提供最佳的建议,确保您的税务合规和税务效益。

You, Tax
& Ince, in any case

我们认为确保贵公司良好的运营秩序是一项重要的合规要求。

我们就不同的投资结构的税务问题提供高质量、有针对性的税务建议,无论是独资、合伙企业、有限公司或有限责任合伙企业等。我们可以为您的企业提供有关税务减免方面的建议,例如:企业投资计划和种子企业投资计划。

我们研究各种税务对贵公司的影响以及如何减轻这些影响,包括退出策略(如果您将公司移交给家庭成员)。此外,我们还处理关键个人的个人和遗产规划问题,包括节税退出策略和利润提取。

我们提供的完整的公司税支持方案包括:

  • 完整的工资管理服务——从注册到运营
  • 实时信息提交
  • 员工股份计划和税收优惠
  • 薪金牺牲方案
  • 预扣所得税结算协议
  • 员工费用政策
  • 增值税登记和申报
  • 公司税务登记和申报
  • 管理账户

更多信息,参阅我们的经验简介

英士税务经验简介 2020

新闻和见解— 税务

洞察力 / Proposed changes to Stamp Duty Land Tax Rules in England

01-03-2022 /

HMRC are currently consulting on potential changes to the Stamp Duty Land Tax (SDLT) rules for mixed use property purchases and Multiple Dwellings Relief. If introduced these changes will have important tax consequences for future property purchases.

Proposed changes to Stamp Duty Land Tax Rules in England

新闻 / Changes to probate application process and submission of inheritance tax accounts for deaths on or after 1 January 2022

28-01-2022 /

On 1 January 2022, The Inheritance Tax (Delivery of Accounts) (Excepted Estates) (Amendment) Regulations 2021 came into effect. They extended the 2004 Regulations so that the majority of non-taxpaying estates are no longer required to complete IHT forms in cases where a grant is required. The new Regulations serve to minimise the administrative burdens imposed on those dealing with IHT by reducing the reporting requirements for excepted estates and limiting the circumstances in which full inheritance tax accounts must be delivered to HMRC. The new Regulations, however, will only apply to estates or deaths that occur on or after 1 January 2022.

Changes to probate application process and submission of inheritance tax accounts for deaths on or after 1 January 2022

新闻 / New sweeping blanket requirement to register nearly all UK connected trusts under Fifth Anti-Money Laundering Directive

14-07-2021 /

Whilst the Fifth EU Anti-Money Laundering Directive (5MLD) came into force on 6 October 2020 with little fanfare, the impact it will have on trusts with a UK connection could well be dramatic. In essence, the 5MLD implements a number of strict anti-money laundering requirements; a number of which have now been extended to nearly all trusts including non-taxpaying trusts, which to date were exempted from such reporting.

New sweeping blanket requirement to register nearly all UK connected trusts under Fifth Anti-Money Laundering Directive

洞察力 / Freeports: how do they benefit businesses in the UK?

23-04-2021 / 航运

In the 2021 Spring Budget, Rishi Sunak announced the creation of eight Freeports in England. These Freeports offer potential incentives for businesses located in such zones to benefit from tax breaks, the ability to import and export goods free of tariffs and reduced administrative burdens. They may also provide opportunities for businesses supporting these activities, including shipping companies, construction companies and service providers.

Freeports: how do they benefit businesses in the UK?

新闻 / Your future in the UK post-Brexit and post-Covid 19: what you need to know

08-04-2021 / 房地产

Over the last twelve months, the United Kingdom (UK) like the rest of the world, has seen the COVID -19 pandemic impact hugely on our ability to travel freely, to relocate for business, work, investment and education. We now see some light at the end of the tunnel with the UK’s mass immunisation programme which has seen infection (and thankfully) mortality levels fall dramatically. This is finally giving people hope for the future, resulting in renewed interest in the UK as a safe place to live, to invest in, and as somewhere to educate their children.

Your future in the UK post-Brexit and post-Covid 19: what you need to know

洞察力 / Domicile and issues of taxation

23-09-2020 /

Taxation is complicated at the best of times but for many people in the shipping industry who often work in a country other than the one where they were born or grew up, there are invariably added cross border complications.

Domicile and issues of taxation

洞察力 / Stamp Duty Land Tax – Temporary Relief

14-07-2020 /

In the UK, Chancellor Rishi Sunak last week announced a raft of stimulus measures aimed at rebooting the UK economy following the coronavirus pandemic.

Stamp Duty Land Tax – Temporary Relief

洞察力 / Domicile remittance basis

03-07-2020 /

This article looks at the practical issues arising from the remittance basis. The remittance basis is an alternative tax treatment that's available to individuals who are resident but not domiciled or treated as domiciled in the UK and have foreign income and gains.

Domicile remittance basis

洞察力 / Ince Brexit Q&A Series

12-12-2019 /

The UK’s decision to leave the European Union continues to create a complex and unprecedented level of uncertainty in the UK, the EU and beyond. It brings significant regulatory, financial and operational implications to individuals and businesses of all sizes.

Ince Brexit Q&A Series

洞察力 / Brexit Q&A: Tax

12-12-2019 /

In this Brexit Q&A Huw Witty provides details surrounding the topic of Tax. This includes borrowing costs, anti-avoidance rules and whether there will be a tax upside from Brexit.

Brexit Q&A: Tax

博客 / A nasty surprise for off plan buyers

26-11-2018 /

In the recent case of HMRC v Higgins (2018 UKUT 280) the Upper Tax Tribunal ruled that “off plan” property purchasers will not be able to claim the traditional relief from capital gains tax (CGT) for the period prior to them moving into their new properties.

A nasty surprise for off plan buyers

博客 / Requirement to Correct: HMRC’s new 200% tax penalty regime

27-07-2018 /

From 30 September 2018, HMRC will introduce a new, more severe penalty regime that will apply to any unpaid UK tax connected to non-UK (otherwise known as ‘offshore’) assets. At its starting point, this new regime imposes financial penalties of 200% on any such unpaid tax, and the rules require a minimum of 100% to be levied, irrespective of taxpayer co-operation.

Requirement to Correct: HMRC’s new 200% tax penalty regime

博客 / The inheritance tax issues facing foreign nationals owning UK property

18-06-2018 /

The UK has historically been, and indeed remains, an attractive proposition for foreign nationals to live, work and invest their money In past years a buoyant property market has led to large numbers of foreign nationals acquiring UK assets, often UK residential property, as an investment Recent falls in the value of sterling following the Brexit vote have only increased the attractiveness of such investments However, such investors should always consider carefully the UK tax implications and succession issues that may arise from holding and later disposing of such an asset, or dying whilst still owning a UK property

The inheritance tax issues facing foreign nationals owning UK property

新闻 / Multilateral approach

26-09-2017 /

Huw Witty's article was first published by Taxation Magazine on 21 September 2017A multilateral convention to combat tax avoidance must be good news, mustn't it Huw Witty considers its advantages and disadvantages

Multilateral approach

新闻 / Buy to Let – Under Siege & The Race to Incorporate

11-12-2016 /

Whilst this may be one opinion, private landlords can certainly be forgiven for thinking it is a view held by George Osborne following his recent tax increases for the buy to let sector. The increase to Stamp Duty Land Tax (SDLT), coupled with restrictions on tax relief for finance charges and the removal of the wear and tear allowance will certainly leave many private landlords feeling under siege.

Buy to Let – Under Siege & The Race to Incorporate

新闻 / SDLT changes 2016 – stamping out investment?

04-01-2016 /

On 28 December 2015 HMRC issued a consultation document concerning the 3% extra stamp duty payable on “additional residential properties”, announced in the Autumn Statement and Spending Review, which has provided some guidance as to how the new rules may operate.

SDLT changes 2016 – stamping out investment?

新闻 / HMRC Consultation – Direct Recovery of Debts

25-07-2014 /

On 6 May 2014 HMRC opened consultation regarding their request for powers to access the bank accounts of taxpayers with tax debts exceeding £1,000. The closing date for comment is 29 July 2014. Responses to the consultation will be published in autumn 2014 and draft legislation released for further consultation in the 2014 autumn statement. New legislation is expected to be introduced as part of the 2015 Finance Bill.

HMRC Consultation – Direct Recovery of Debts

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