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This measure sets out new transfer pricing documentation requirements for the largest UK businesses to retain, and produce upon request, a master file, local file and summary audit trail.
This measure changes the tax treatment of collective money purchase schemes in winding up.
These measures introduce temporary tax reliefs and exemptions in connection with the Homes for Ukraine Sponsorship Scheme.
This measure introduces changes to Income Tax and Inheritance Tax legislation to make sure assets transferred to the reclaim fund which are subsequently returned, receive the correct tax treatment.
This measure introduces a minor change to the Soft Drinks Industry Levy.
This measure creates a UK-wide level playing field for limited liability partnerships and Scottish Partnerships and was originally announced at Tax Administration and Maintenance Day 2021.
This measure sets out changes that will make sure the conditions to be a qualifying asset holding company better align with the intended scope of the regime.
This measure introduces 2 new destination bands and rates for the tax year 2023 to 2024.
This measure intends to clarify the tax treatment of payments received under the Lump Sum Exit Scheme.
This measure will give HMRC powers to make regulations to move Insurance Premium Tax forms from secondary legislation and into a public notice, by way of a statutory instrument.
This measure introduces changes affecting aggregate returned to the land at its original site and aggregate dug as a by-product of construction.
This measure introduces a new approvals framework for aerodromes that are not designated customs and excise airports.
In line with the agreement on a 2 Pillar solution to reform the international tax system, this measure will help to ensure multinational enterprises operating within the UK pay a global minimum level of tax.
This measure extends existing tax checks for taxi and scrap metal licences in England and Wales to licences in Scotland and Northern Ireland.
This measure makes changes to the rules that apply to transfers of assets between spouses and civil partners who are in the process of separating.
This measure prevents certain new claims to double taxation relief where those claims only relate to deemed amounts of overseas tax.
The government is consulting on the implementation of the OECD Model Reporting Rules, which require digital platforms to report details of the income of sellers on their platform to the tax authority and also to the sellers.
We welcome views on the case for reforming Income Tax Self Assessment registration for the self-employed and landlords.
We welcome views on how HMRC can better understand, prevent, and collect international tax debt.
We are seeking views on how HMRC can help taxpayers get their offshore tax right by using data, raising taxpayer awareness and reducing errors.
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