RDJ Senior Associate Mark Ludlow is a regular contributor to the Irish Tax Review, writing the feature Direct Tax Cases: Decisions from the Irish Courts and Tax Appeals Commission Determinations. The current feature examines decisions which considered:

  1. the jurisdiction of the Appeal Commissioners;
  2. whether a settlement agreement with Revenue can preclude a prosecution;
  3. whether and in what circumstances Revenue must disclose information to a taxpayer in the course of an appeal;
  4. the meaning of 'interest in land';
  5. the meaning of 'proprietary director'; and
  6. whether the loan element of a 'stapled investment' was a 'debt on security'.

Read the full article here.

Originally published by Irish Tax Review.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.