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Clarification on late applications for distributing fund status under Schedule 27 ICTA 1988.
An update on the UK implementation of the treatment of accounts held by non-financial charities and other not for profit organisations.
This template is for charity shops to use to advise donors if the proceeds of sale under method B are more than £1,000.
Preston factors (earnings and interest factors) are provided for employers.
This guidance highlights the changes to the taxation of UK resident, non-domiciled and not ordinarily resident individuals who choose to be taxed on the remittance basis.
This defines the CHIEF UK Customs bespoke message for reporting errors.
How profits are treated from activities carried out in the UK territorial sea or designated areas and the effect of double taxation agreements.
Guidance for letting agents and tenants on their obligations under the non-resident landlord (NRL) scheme.
This Tax Information and Impact Note is about additional legislative changes to the Customs Transit Procedures.
Updates on the new service to manage and register pension schemes.
Amendment to the list of co-operating companies with lower anti-dumping duty rates for imports of ceramic tableware and kitchenware from China.
Use form HM6 to claim a repayment of excise duty if your goods are being delivered from an EU member state into Northern Ireland.
This treaty was presented to Parliament in March 2016.
This treaty was presented to Parliament in August 2018.
details for OFSI General licence INT/2025/5787748, Arbitration Costs
Tax avoidance schemes that HM Revenue and Customs believe to be live and widely available, to help those using them to avoid tax.
Find out information about the Apprenticeship Levy if you are a software developer working with payroll software.
Newsletter 106 published by HMRC in January 2019 containing updates and guidance on pension schemes.
A guide to the operation of the export entry declaration transactions, insert, amend and display.
This factsheet gives information about when you may be jointly and severally liable for the relevant tax liability of a company because you’ve been connected to companies which have become insolvent with amounts due to HMRC.
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