Wragge Lawrence Graham & Co
- Tax (11)
- Company/Commercial (6)
- Banking / Finance (4)
- Litigation / Dispute Resolution (4)
- Competition/EU (3)
- Corporate (3)
- Employment (3)
- Funds (3)
- PPP/PFI/Commercial projects (3)
- Real Estate (3)
- Energy (2)
- Environment (2)
- Financial services (2)
- Information Technology (2)
- Pensions (2)
- Personal tax / Trusts (2)
- Public Sector/Local Authority (2)
- Regulatory and compliance (2)
- Construction (1)
- Insolvency & restructuring (1)
- Insurance/reinsurance (1)
- Intellectual Property (1)
- Media/Entertainment/Sport (1)
- Pharma/Biotech (1)
- Planning (1)
- Private Equity (1)
- Telecoms (1)
Sort By: Newest first | Oldest first
Several modifications to enterprise tax reliefs were announced in the 2015 Budget. Wragges explores the proposed changes and what they mean to investors and qualifying companies.
After the amendment to the Franco-Luxembourg tax treaty of September 2014 it is the turn of the Franco-German tax treaty, with an amendment concluded on 31 March.
The Budget statement delivered on 19 March 2014 promised some of the most radical changes to pension savings for a generation. Are you ready?
Wragge Lawrence Graham & Co’s tax experts bring you the latest tax law issues and provide action points to help you and your organisation.
This was the finding in GSM Export (UK) Ltd (in Administration) and another v Revenue & Customs Commissioners, in which GSM Export appealed against a refusal of repayment of input tax.
Wragge Lawrence Graham & Co has advised Euroclear on its agreement with the US’s DTCC to develop a joint collateral processing service.
Wragge Lawrence Graham & Co’s French tax experts address some of the main issues that individuals owning French residential property should consider.
According to The Legal 500, following the merger of Wragge & Co and Lawrence Graham in May 2014, the firm has ‘more strength and depth as well as wider international coverage’.
Wragge Lawrence Graham & Co has advised longstanding client Euroclear on its agreement with the US’s DTCC to develop a joint collateral processing service.
In the case of Mehjoo v Harben Barker, the Court of Appeal overturned the earlier decision of the High Court.
Tax support for the UK onshore shale gas industry: an innovative approach to an unconventional fuel reserve
The government is ambitious to support industry in its exploitation of shale gas as a new source of energy supply.