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A new edition has been published, the details can be seen here:
Taxation of Partnerships and Private Capital Structures 2nd ed isbn 9780414114951

Taxation of Partnerships and LLPs


ISBN13: 9780414074637
New Edition ISBN: 9780414114951
Published: October 2021
Publisher: Sweet & Maxwell Ltd
Country of Publication: UK
Format: Hardback
Price: £214.00



This is a Print On Demand Title.
The publisher will print a copy to fulfill your order. Books can take between 1 to 3 weeks. Looseleaf titles between 1 to 2 weeks.

Taxation of Partnerships and LLPs addresses in detail the technical and practical UK tax issues that arise in relating to trading and professional partnerships and LLPs and investment fund partnerships. As well as discussing the UK tax landscape for all types of partnerships and LLPs, the book contains an extensive discussion of the special regimes (including those for disguised investment management fees, carried interest and income based carried interest) introduced in recent years which supplement these rules for the asset management community.

The UK treatment of partnerships is still largely non-statutory while the tax treatment of flows to investment managers has been subject to extensive changes since 2014. The book helps demystify these complex areas of tax by offering an explanation of the technical issues, reasoned views on the practical application of these rules, and the positioning of HMRC.

  • Focus on investment and trading partnerships
  • In-depth coverage of the recent changes focused on asset managers trading as LLPs
  • Openly discusses areas where the view of HMRC and tax community diverge and give an opinion on where the right answer lies

Subjects:
Partnership Law, Taxation
Contents:
1. Partnerships, partners and LLPs: An introduction
2. Framework for calculating and allocating partnership income
3. Which vehicle to choose - partnership, LLP or company?
4. Chargeable gains
5. Tax compliance and management
6. An international perspective
7. UK taxation of partnerships with an offshore element
8. LLP members as employees, salaried members and IR35
9. The employment related securities rules and partnerships
10. Acquisitions of securities in self-employed context
11. Anti-avoidance rules
12. Losses
13. Financing partnerships
14. Retirement and expulsion
15. Partnership mergers
16. Mixed member rules
17. Loan relationships
18. Intangible fixed assets
19. Effect of partnerships on corporate groupings and tax reliefs
20. Background to investment management taxation
21. DIMF rules
22. IBCI rules
23. Carried interest rules
24. DIMF/Carried interest - particular topics
25. Transfer taxes
26. IHT
27. VAT