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Bank payroll tax |
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Landline Duty
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SDLT holiday to end |
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Seafarers |
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Equitable liability |
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Anti-avoidance measures |
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Bank payroll tax |
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The Chancellor announced a new tax to be levied on banks
(and certain other companies) providing a bonus exceeding £25,000
to a banking employee directly or through an intermediary.
The tax will be charged at 50% of the amount by which the
bonus exceeds £25,000 and will have effect from 9 December
2009 to 5 April 2010, and is payable on 31 August 2010. It
is in addition to the income tax and NICs the employee will
pay, at a combined rate of up to 41%.
Bank payroll tax is not taken into consideration when calculating
the bank’s profits or loss for corporation tax or income
tax purposes.
Detailed provisions, including anti-avoidance provisions,
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Landline Duty
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HM Treasury, HMRC, and the Department for Business, Innovation
and Skills will shortly consult on the implementation of
the Landline Duty.
The Landline Duty of 50p per month for each line is being
introduced to help fund the roll-out of superfast broadband
(Next Generation Access) to 90% of the country by 2017. The
Digital Britain White Paper committed to introduce the new
duty in the financial year 2010/11.
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SDLT holiday to end
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A stamp duty land tax (SDLT) holiday was announced on 2
September 2008 for all houses costing up to £175,000.
The holiday will end as planned on 31 December 2009 and
the threshold for houses will revert to £125,000 (or £150,000
in disadvantaged areas) from 1 January 2010. |
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Seafarers
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Legislation will be introduced in the 2010 Finance Bill
to extend, from 6 April 2011, the Seafarers’ Earnings
Deduction to EU and EEA resident seafarers.
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Equitable liability
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The current law does not allow HMRC to forgo tax that is
legally due. By a concession published in Tax Bulletin 18
in August 1995, HMRC has not pursued amounts when a taxpayer
can prove they would not have been due if he or she had filed
a return on time. The concessionary treatment applies only
where a taxpayer:
shows that the figure of tax due is excessive
shows what the correct amount should have been; and
brings his or her tax affairs up to date, including payment of tax, interest
and penalties.
The concessionary treatment can usually only apply to any
taxpayer on one occasion although it may cover a number of
years. The current concession will continue to apply until
legislation is introduced to formalise it. |
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Anti-avoidance measures |
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Offshore bank accounts – New Disclosure Opportunity Following a recent tribunal decision, HMRC is receiving
details from over 300 financial institutions in the UK regarding
offshore bank accounts. Alongside this, the Government is
offering the New Disclosure Opportunity (NDO), giving those
with undeclared assets a final chance to come forward to
pay tax, interest and a reduced penalty. The notification
window for the NDO runs until 4 January 2010, with a final
disclosure and full payment required by 12 March 2010.
The Chancellor has also proposed that there will be a requirement
to notify HMRC when opening offshore bank accounts in certain
jurisdictions, supported by a separate penalty regime.
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Inheritance tax avoidance schemes
Draft legislation has been published to close two schemes
designed to avoid inheritance tax charges on relevant property
trusts. First, where a person transfers property into a trust
in which they retain a future interest they will be charged
inheritance tax if they become entitled to an actual interest
under the trust. Second, where a person purchases an interest
in a trust that interest will be treated as part of their
estate for inheritance tax purposes.
The Government has announced it is also examining ‘wider
solutions’ regarding the use of trusts to avoid inheritance
tax charges.
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Disclosure of Tax Avoidance Schemes
Regulations will be introduced to extend the Disclosure
of Tax Avoidance Schemes (DOTAS) to require the disclosure
of certain stamp duty land tax (SDLT) avoidance schemes that
concern residential property with a value of at least £1
million. Users of all SDLT avoidance schemes, for both commercial
and residential property, will be required to report the
use of the scheme back to HMRC.
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Other anti-avoidance measures |
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Other announcements include measures to:
- counter avoidance through the artificial creation of excess
capital allowances
- close a loophole through which fees are ‘artificially
carved out’ of a taxable insurance contract to avoid
insurance premium tax
- ensure that the tax exemption for the inflationary return
of an index-linked gilt cannot be exploited for avoidance
purposes
- prevent leasing schemes that generate artificial tax
losses in excess of the value of taxable income taking
income out of the charge to tax
- prevent companies using consortium arrangements that
attempt to deliberately circumvent the sale of lessors
anti-avoidance legislation
- remove the exemption from stamp duty or stamp duty reserve
tax where new shares are issued within the EU and subsequently
transferred to a depositary receipt system or clearance
service outside the EU.
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