Tag Archives: Offshore Tax Planning
UK Praises Isle of Man Stance on Tax Standards
There are stunned expressions on the faces of Isle of Man politicians, civil servants and business leaders who have just read an official press statement from Stephen Timms, Financial Secretary to the UK Treasury, seen here behind his political master Gordon Brown. After months, indeed years of undisguised hostility, most blatantly with Chancellor Alistair Darling’s [...]
Full StoryIt is official: the Isle of Man is NOT a Tax Haven
As promised by Gordon Brown at the end of the G20 summit today, the OECD (Organisation for Economic Cooperation and Development) has provided a detailed report on progress by financial centres around the world towards implementation of an internationally agreed standard on exchange of information for tax purposes. The list is split into four sections [...]
Full StoryOffshore Tax Havens: Who Did Chancellor Merkel Have in Mind?
Anyone setting up a business in Germany has a few problems to overcome. High taxation, high social charges, and high cost of company formation to name just three. That’s why more and more Germans are setting up companies in the United Kingdom. Believe it or not, the UK remains very business friendly. Anyone can set [...]
Full StoryIsle of Man Praised by OECD Despite Attacks by UK Government
Whilst Gordon Brown, Alastair Darling and Barack Obama attack the Isle of Man as a “Tax Havens” the OECD (Organisation for Economic Cooperation & Development) praise the Isle of Man. If proof were ever needed that the bully boys of the UK and USA are attacking small offshore countries just to divert attention from their [...]
Full StoryIs the Isle of Man Really a Tax Haven?
I live in the Isle of Man. For those of you who don’t know this is a small island in the middle of the Irish Sea about midway between England, Scotland and Ireland (and a little further from Wales). Although one of the British Isles we are an independent country – with the oldest [...]
Full StoryWithholding Tax Under Challenge
I recently received a question from the owner of a UK company questioning the imposition of Spanish withholding tax on payments his company received from a Spanish subsidiary. He thought that the EU Parent-Subsidiary Directive exempted the tax. In fact it would do for dividends but not for royalty payments, which these payments were for [...]
Full StoryThe Remittance Basis of UK Taxation: What it Means for Persons Entitled to Claim Non Domicile Status
There has been much publicity and comment about “non doms” – these being persons who whilst resident in the UK are not domiciled there (see here for more information on what this means). The popular belief is that these people are unfairly avoiding tax on income or capital gains made outside the UK by claiming [...]
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