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Tax Evasion and Tax Avoidance

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Title: Tax Evasion and Tax Avoidance


1
Tax Evasion and Tax Avoidance
Lec11 C33TC3
  • Tax Evasion
  • Illegal eg withhold information note the Black
    economy
  • Tax-payer compliance improved by Deduction at
    source Auditing and revenue enquiries Duty to
    notify chargeability Powers of
    assessment Powers re taxpayers papers Warrant
    to enter premises and remove documents

2
Tax Evasion and Tax Avoidance
  • Tax Avoidance
  • Arranging affairs to minimise tax legal and
    encouraged Artificial schemes

3
Tax Avoidance
  • Tax avoidance and the law
  • 1 Case law
  • 2 Legislation

4
Tax Avoidance
  • 1 Case law
  • IRC v Duke of Westminster 1936 19 TC
    490 Servants paid by deed of covenant in place
    of wages
  • Held legal documents could not be overturned
    merely because the motive was to save tax
  • Every man is entitled to order his affairs so
    that the tax attaching under the Act is less than
    it otherwise would be.
  • Importance of the letter of the law not the
    substance
  • Tax avoiders charter

5
Tax Avoidance
  • WT Ramsay Ltd v IRC 1981 STC 174
  • Tax avoidance scheme
  • Series of transactions that left the taxpayer in
    the same position at the end as at the beginning
    (circular transactions)
  • In course of transactions a CGT loss (allowable)
    and a CGT gain (not chargeable) had arise. Idea
    to use the CGT loss against other gains.
  • Held Pre-ordained events so court could look at
    cycle of transactions as a whole. This resulted
    in no gain, no loss. So CGT loss not available.
  • H of L said not overturning Duke of W. but
    limiting it.

6
Tax Avoidance
  • Tax avoidance split
  • Legitimate tax planning mitigation of tax
  • Not allowed Artificial tax avoidance schemes

7
Tax Avoidance
  • Furniss v Dawson 1984 STC 153
  • Ramsay principle extended to a non circular
    transaction
  • Sale of shares with artificial step to avoid tax
  • Held extra step ignored and gain taxed

8
Tax Avoidance
  • Restrictions to Ramsay principle
  • Craven v White 1988 STC 476
  • Similar to F v D sale of shares through IOM
    company But sale to third party not planned in
    advance
  • Not pre-ordained at time of share exchange

9
Tax Avoidance
  • For Furniss v Dawson to apply 1 Series of
    transactions must be pre-ordained 2 Transaction
    must have no other purpose than tax
    mitigation 3 Intermediate transactions not
    contemplated as having independent life 4
    Pre-ordained events must in fact take place
  • Lord Oliver

10
Tax Avoidance
  • Restrictions to Ramsay principle cont
  • Piggot v Staines Investments 1995 STC 1418
  • Note Rex v Charlton Others 1996 STC
    1418 Bungled tax avoidance scheme regarded as
    evasion and prosecuted as a crime

11
Tax Avoidance
  • Further development of Ramsay principle
  • IRC v McGuckian 1997 STC 908
  • Lords Steyn and Cooke indicated that Ramsay
    principle is not just to determine what a real
    transaction is but to interpret the purpose of
    the statute

12
Tax Avoidance
  • 2 Legislation
  • Anti avoidance legislation significant feature of
    UK tax code
  • Works in different ways
  • 1 Deny a relief which might be used to manipulate
    a situationExampleSchedule B/Schedule D
    forestry regimeCost of planting new forest
    offset against Sch D income to encourage growth
    of timber in UKUnforeseen effects and perceived
    as a means of avoiding tax by the wealthy

13
Tax Avoidance
  • 1 Deny a relief which might be used to manipulate
    a situation (cont)Solution Not to adjust
    relief to prevent (eg) a coniferous
    monocultureBut to abolish the tax regime to
    close a tax loophole exploited by the wealthy

14
Tax Avoidance
  • 2 Introduce a special tax regime for the type of
    transaction and taxpayer concernedExampleS.42
    CAA 1994 a) Special 10 capital allowance
    rate b) denial of relief altogetherTo prevent
    advantage being taken of generous UK allowances
    for non UK leasing equipment

15
Tax Avoidance
  • 3 Inland Revenue power to challenge transactions
    where they feel there is a tax avoidance motive
    presentExampleS 775 ICTA 1988 Where
    individuals earning capacity is exploited in
    return for a capital sum..Pop star sells
    services to company for fixed (relatively low)
    salary and shares. Shares (capital) sold for
    large amount Under S 775 capital sum treated as
    income

16
Tax Avoidance
  • 4 General Anti-avoidance Rule (GAAR) Favoured by
    Labour government 1997 Institute Fiscal Studies
    Report 1997 IR reported Confine to corporate
    affairs Law Review Committee opposed
    GAAR Burden of proof would fall on
    taxpayer Clearance procedures of IR
    inadequate 1999 Budget GAAR not to be
    introduced for time being 2004 Budget Schemes
    and arrangements to be submitted
    for prior approval

17
Tax Evasion and Tax Avoidance
  • Bibliography Nightingale chapter 6
  • Taxation Policy and Practice Lymer and Oats
    2006-07 Chapter 1 pp 31-34 and Chapter 11
  • Tolleys Tax cases
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