The restoration of Crown Preference – the implications

Happy New Year and welcome to our January 2021 article on the restoration of Crown Preference. Click here to read the previous article on these matters. For almost 20 years, taxes collected by UK corporates for payment to HMRC have ranked as ordinary unsecured debts on an insolvency. But, back in 2018, along with various…

Determining your deal structure: asset purchase or share purchase? The tax perspective

What’s what? Asset purchase  The key parties in an asset purchase are usually the buyer and a single corporate seller rather than a group of shareholders. Both the buyer and the seller negotiate which assets and/or liabilities will transferred, and explicitly exclude those which the buyer does not want to acquire. These other assets and/or…

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