How are the IHT rules changing? In the Spring Budget on 6 March 2024, the Conservative government proposed a residence-based test for IHT – as opposed to one based on… Read more →
I am UK resident but non-UK domiciled (“RND″) and have been in the UK for longer than ten years. Should I stay or should I go? Income and capital gains… Read more →
I have been UK resident for longer than four years, and am claiming the remittance basis. What should I be thinking about? In his Spring Budget of 6 March 2024,… Read more →
Alongside the shine and sparkle of the festive season – with its flurry of activity spilling beyond crowded shopping malls and into living rooms (and offices) warmly lit by the… Read more →
I probably won’t live this down but I have a musical guilty pleasure in country and western, specifically Taylor Swift. I didn’t think that weakness would ever overlap with work.… Read more →
At an increasing rate, trustees are finding themselves in a position where they are entrusted with administering trust funds that comprise (directly or indirectly, via underlying companies) luxury assets, such… Read more →
“Why, Sir, you find no man, at all intellectual, who is willing to leave London. No, Sir, when a man is tired of London, he is tired of life; for… Read more →
Caveat Emptor translated from Latin means “let the buyer beware”, the saying typically afforded to buyers of residential property in the UK on the basis that they buy at their… Read more →
The favourable remittance basis of taxation available to those who are classified as non-domiciled but resident in the UK can trace its roots back to the late 18th century and… Read more →