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Volume 2 of the environmental statement provides reports and maps detailing the main environmental effects of HS2 in different areas.
Volume 1 introduces the environmental statement and provides an overview of the route and environmental impact assessment process.
Government response to the 2016 HS2 Phase 2b property compensation consultation covering Crewe to Manchester and West Midlands to Leeds.
First published during the 2016 to 2019 May Conservative government
Government response to the HS2 Phase 2a West Midlands to Crewe route refinement consultation.
Commercial case for the HS2 Phase Two route from the West Midlands to Leeds and Manchester, including the accelerated delivery of HS2 Phase 2a.
Financial case for the HS2 Phase Two route from the West Midlands to Leeds and Manchester, including the accelerated delivery of HS2 Phase 2a.
Economic case for the HS2 Phase Two route from the West Midlands to Leeds and Manchester, including the accelerated delivery of HS2 Phase 2a.
Strategic case for the HS2 Phase Two route from the West Midlands to Leeds and Manchester, including the accelerated delivery of HS2 Phase 2a.
Management case for the HS2 Phase Two route from the West Midlands to Leeds and Manchester, including the accelerated delivery of HS2 Phase 2a.
The government's response to the Electoral Commission's reports on the Police and Crime Commissioner and Greater London Authority elections.
The BLP from time to time provides advice to the Treasury on specific issues which is published on this page.
The drug strategy 2017 sets out how the government and its partners, at local, national and international levels, will take new action to tackle drug misuse and the harms it causes.
This clause introduces two minor technical changes to the hybrid and other mismatch rules to ensure that they operate as intended.
This clause reforms the tax treatment of certain types of carried-forward loss for Corporation Tax purposes.
This clause introduces a new charge on outstanding loans from disguised remuneration schemes.
This clause introduces a restriction on the amount of interest and other financing amounts that a company may deduct in computing its profits for Corporation Tax purposes.
This clause introduces new rules for deeming individuals domiciled in the UK for tax purposes from April 2017.
This clause extends the Substantial Shareholding Exemption so that companies owned by institutional investors will be exempt from Corporation Tax on disposals of their subsidiary companies without regard to whether the subsi…
This clause ensures that individuals deemed domicile under the new deeming provisions will be subject to Inheritance Tax on their worldwide income and gains.
How provisions in the UK's withdrawal agreement with the EU, concerning the rights of EU citizens, should be given effect in UK law
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