BBA submission on HMT CP “Statutory definition of tax residence and reform of ordinary residence”
17/09/2012
The BBA welcomes HM Treasury's attempts to introduce a statutory definition of tax residence, however we are concerned that the complexity of the proposed rules will present an additional and impractical administrative burden on both employers and employees, and will potentially discourage foreign companies and investors from doing business in the UK.
Please read the full response via the link below.

