Should HMRC be allowed to disclose information about a company's tax affairs as part of a campaign to name and shame tax avoidance schemes? In this judicial review application the Supreme Court took a slightly unique approach. Music from bensound.com
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R (Ingenious Media Holdings plc) v Commrs. for HMRC [2016] UKSC 54
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R (Ingenious Media Holdings plc) v Commrs. for HMRC [2016] UKSC 54