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How to be sure that you’re offshore

A recent decision serves a warning to those that hold UK real estate through foreign companies. Kirsten Prichard Jones offers practical advice for effective tax structuring

A recent tax case has highlighted how the use of non-UK companies to hold UK real estate can be challenged by the tax authorities. Development Securities (No 9) Ltd v HMRC [2017] UKFTT 565 serves as a timely reminder of the care that must be taken by groups holding UK assets through these vehicles.

Three Jersey companies ultimately owned by Development Securities were used as part of a tax structure devised by a Big Four firm, which was designed to increase the group’s tax losses.

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