
Our Expertise
Corporate Tax
Our Approach
We specialise in advising entrepreneurs, their businesses and related parties, combining technical expertise with practical, down-to-earth advice.
We advise on all aspects of corporation tax, income tax, NICs, capital gains tax, VAT, stamp duty and stamp duty land tax in the UK. We act for buyers and sellers on a variety of commercial and corporate transactions in a range of sectors and can assist in a variety of ways:
- Mergers and acquisitions including negotiating the allocation of tax risk in the transaction documents.
- Advising selling shareholders on the tax implications of their sale with a particular emphasis on the availability of business asset disposal relief for individuals and the substantial shareholding exemption for corporates.
- Advising buyers on tax efficient structuring and the benefits and risks specific to their particular fact pattern.
- Joint ventures including advice on structuring and on tax transparency where appropriate.
- Corporate reorganisations including establishing that no unnecessary tax charges are triggered.
- Structuring of investments and fund-raising by companies including advising on whether EIS and SEIS tax reliefs are available to make the investment more attractive to potential investors.
- General commercial agreements including advice on the VAT implications of the proposed agreement and in particular whether there is a VAT cost or VAT recoverability issue.
- Employee ownership trusts (EOT) offer an alternative to a sale to a trade buyer or private equity house, an IPO or a management buyout. An EOT is a trust set up for the benefit of a company’s employees. Following formation, the EOT buys the company. There are significant advantages and some disadvantages for you when comparing a sale to an EOT to alternative sale structures, to find more about them access our EOT brochure.
If you have any questions or require corporate tax advice, please contact a member of our team.
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Our Insights
25 March 2026
When does tax litigation cross the line? Indemnity costs outcome in the First-tier Tax Tribunal
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25 March 2026
Managing reputation in tax disputes
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22 March 2026
Court of Appeal confirms strict approach to late tax appeals: What taxpayers need to know
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16 December 2025
2025 in review: Under construction – Tax investigations
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10 December 2025
Under construction: Tax investigations
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10 December 2025
HMRC’s strengthened reward scheme for whistleblowers of tax avoidance and evasion
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13 October 2025
UAE agrees to share crypto information with international tax authorities
Insight
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