Nicholas Barnes v The Commissioners for HM Revenue and Customs: [2012] UKUT 273 (TCC)

Upper Tribunal Tax and Chancery decision of Mr Justice Roth and Judge Ghosh on 30 July 2012.

Read the full decision in .

Income Tax avoidance scheme accrued income provisions: ICTA 1988 ss 710-714, 727(2) stock lending arrangements and capital gains tax exemption: TCGA 1992 s 263B manufactured interest provisions: ICTA 1988 schedule 23A - chargeable to income tax.

Updates to this page

Published 1 December 2016