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Monroe & Nock on the Law of Stamp Duties

Monroe & Nock on the Law of Stamp Duties
Number of volumes: 3
Series:  Sweet & Maxwell's Tax Library
Practice Area:  Taxation Law
ISBN:  9780421411302
Subscription Information: 2 releases a year, Non-Subscribable Product
Format:  Looseleaf
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PRODUCT DESCRIPTION

Providing a comprehensive and practical account of the application of stamp duties to shares, securities and real estate transactions, Monroe & Nock on the Law of Stamp Duties:

  • Covers the application of stamp duty and stamp duty reserve tax to a range of transactions in shares and other securities in situations, including M&A, capital markets transactions and reorganisations
  • Considers special situations such as depositary receipt schemes and clearance services, unit trusts and open-ended investment companies and the application of stamp taxes to partnerships
  • Explains the available exemptions and reliefs and offers practical guidance on how to obtain them, including loan capital, reorganisations and transfers between associated companies and securitisations
  • Analyses the interaction between the parallel regimes of stamp duty and stamp duty reserve tax and offers practical guidance on how to fall within one tax rather than the other
  • Covers the application of stamp duty land tax and the Scottish and Welsh equivalent taxes to a range of transactions in land and buildings
  • Reproduces principal statutory provisions and key HMRC material
  • Adds commentary and critique to the principal statutory provisions and authoritative case law
  • Considers future developments in stamp taxation


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CONTENTS

Section A: Stamp Duties
  • Chapter 1 Stamp Duties and Shares- General Principles
  • Chapter 2 The Rates and Computation of Ad Valorem Stamp Duty for Stock and Marketable Securities
  • Chapter 3 Transfer on Sale of Reistered Secutities and Partnership Interests Chapter 4 Stamp Duty- Reserve Tax - The Principal Charge
  • Chapter 5 Stamp Duty Reserve Tax- Administration and Compliance
  • Chapter 6 The Share and Loan Capital of Corporations other than Bearer Shares
  • Chapter 7 Bearer Instruments Issued after September 30, 1999
  • Chapter 8 Depositary Schemes and Clearance Schemes; Chapter 8AValue Added Tax and Stamp Duties
  • Chapter 8B The Charge to Stamp Duties after Implementation Date
  • Chapter 8C  Partnerships
  • Chapter 8D Stamp Taxes and other Taxes
Section B: Stamp Duty Reserve Tax
  • Chapter 9 Company Reorganisation Shares
Section C: Special Situations
  • Chapter 10 Unit Trusts and Open-Ended Investment Companies
  • Chapter 10A Unit Trursts and Schemes After February 6, 2000
  • (Chapter 11-14 removed)
  • Chapter 14A Stamp duty Land Tax- Transititional
  • Chapter 14B Stamp Duty Land Tax- Charging Provisions
  • Chapter 14C Stamp Duty Land Tax - Administration
Section D: Planning Principles
  • Chapter 15 Principles of Stamp Duty Planning
  • Chapter 15A Planning for Stamp Duty Land Tax
  • Chapter 16 Planning for Stamp Duty Tax Reserve
Section E: Planning in Particular Situations
  • Chapter 17 Planning for Commercial Transactions and Documents
  • Chapter 18 Disposals and Acquisitions of Business
  • Chapter 19 Land Transactions
  • Chapter 20 Business Structures
  • Chapter 21 Valuation Issues
  • Chapter 22 (removed)
  • Chapter 23 Annual Enveloped Dwellings
Tax Part 1: The Charge to Tax
  • Chapter 24 Annual Enveloped Dwellings
Tax Part 2: The Compliance Regime
  • Chapter 25 Land and Building Transaction Tax - Scotland Part 1: The Charging Provisions
  • Chapter 26 Land and Building Transaction Tax - Scotland Part 2: Compliance Regime

SUBSCRIPTION INFORMATION

2 updating releases a year.

All Calendar Year and Any Time Start (ATS) subscriptions are subject to a continuous subscription agreement. This means that your subscriptions will automatically renew in future years, unless you tell us otherwise.
 
Before each renewal period we will send you an annual subscription statement to enable you to review your subscriptions. You must tell us about any changes within 30 days of the subscription statement date after which you will be invoiced and your subscription(s) will continue for a further year.
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