Introduction The UK’s new Qualifying Asset Holding Company Regime (the “QAHC Regime”) comes into effect on 1 April 2022. The main objective of the regime is to make the UK a more desirable jurisdiction from which funds (which...more
The majority has spoken: on Friday 24 June, it was announced that the UK had voted to leave the European Union (the “EU”). The full implications of this decision are largely unknown, given that the UK is navigating...more
6/29/2016
/ Customs ,
Double Taxation ,
EU ,
EU Merger Directive ,
European Communities Act ,
European Economic Area (EEA) ,
International Tax Issues ,
International Treaties ,
Member State ,
UK ,
UK Brexit ,
Value-Added Tax (VAT) ,
Withholding Tax