Introduction
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The tax treatment of loan relationships is an area of increased complexity. Even the definition of a loan relationship has been put under the spotlight by the recent MJP Media case.
The Upper Tribunal has now confirmed that intra-group arrangements do not constitute a loan relationship. Our expert speakers will guide you through this intricate area of taxation.
Webinar details
Live Broadcast date:
Thursday 10 November 2011
12:30:00
Location:
At your desk
On your Laptop or PC
Event price:
£89
For information on multi-user discounts visit the Delegate Information tab above
2
CPD
Hours