Mark Stapleton

Mark Stapleton

Dechert LLP

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Latest Posts › Double Taxation


Global Private Equity Newsletter - Fall 2015 Edition: The Summer Budget – Changes to the UK Tax Treatment of Carried Interest

The Chancellor of the Exchequer’s recent Summer Budget and the related legislation introduced a series of unexpected tax changes along with the promise of further changes to come. Shortly after the Summer Budget was issued...more

10/10/2015 - Anti-Avoidance Budgets Capital Gains Carried Interest Carried Interest Tax Rates Corporate Taxes Cost-Shifting Double Taxation HMRC Investment Management Private Equity Resident Non-Domiciled (RND) Tax Credits UK

UK tax treatment of US LLC: HMRC’s practice following Anson

We reported earlier this year on the UK Supreme Court’s decision in HMRC v Anson, in which it was held that a UK taxpayer, Mr. Anson, was entitled to claim relief against his UK tax liabilities for US tax paid on his share of...more

10/1/2015 - Anson v HMRC Business Taxes Double Taxation HMRC LLC UK UK Supreme Court

Financial Services Quarterly Report - Second Quarter 2015: OECD Discussion Draft on BEPS: Funds’ Treaty Access under Threat

The Organisation for Economic Co-operation and Development (OECD) published a revised discussion draft on 22 May 2015, in relation to Action 6 of the BEPS (Base Erosion and Profit Shifting) Action Plan (Action Plan 6), which...more

7/29/2015 - BEPS Derivatives Double Taxation International Treaties Investment Funds OECD Pooled Investment Vehicles Tax Treaty TRACE

Financial Services Tax – UK Update from Dechert’s Tax Group: Rule Changes Yield Mixed Blessings for UK Investors in Offshore Funds

UK investors in closely held offshore funds can be directly liable for tax if the fund makes a gain on an underlying asset even if the gain is reinvested by the fund and not distributed to the investor. There is also the...more

2/11/2013 - Capital Gains Double Taxation Investors Liquidation Offshore Funds Privately Held Corporations

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