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Jersey
Carey Olsen
This guide to Jersey's private client sector includes commentary on tax, trusts, foundations and private wealth structures used within the jurisdiction...
Walkers
The Minister for External Relations of the Government of Jersey (GoJ) recently announced a public consultation seeking views on a number of proposed changes to the operation...
Carey Olsen
The Finance (2024 Budget) Jersey Law 202 – (the "Law") was adopted on 14 December 2023 bringing in changes to stamp duty, LTT and EPTT with effect from 1 January 2024.
Carey Olsen
Jersey property unit trusts (JPUTs) remain a popular choice of vehicle for investment and fund structures that hold UK real estate and we continue to see a steady flow of instructions to establish new JPUTs.
Jersey Finance Limited
The global tax environment has never seen such fundamental change at such a rapid pace. As a result, funds, their managers, investors and advisers may be uncertain of the impact on their current and future structures.
Walkers
The Islands will monitor implementation internationally and adapt their implementation of the tax rate accordingly to global developments.
Benest & Syvret
Philip Syvret, Head of the Property Team at Benest & Syvret looks at the tangled web of stamp duty on buy to let property purchases and calls for a radical rethink.
Carey Olsen
This guide to Jersey's private client sector includes commentary on tax, trusts, foundations and private wealth structures used within the jurisdiction...
Ogier
The principal Jersey tax statute is the Income Tax Law 1961 (the Income Tax Law) which determines the rate of Jersey income tax payable by Jersey companies.
Ogier
The Crown Dependencies issued their joint guidance on the application of the economic substance rules to partnerships on 21 December 2021...
Ogier
Jersey companies may be treated as exclusively tax resident in jurisdictions other than Jersey pursuant to Article 123(1)(a) of the Income Tax Law 1961.
Collas Crill
The Comptroller of Revenue in Jersey issued an important Guidance Note on 11 January 2023 in relation to the payment of Land Transaction Tax (LTT).
Walkers
Walkers Capital Markets Limited ("WCML") is a Category 1 and 2 Listing Member of the International Stock Exchange Authority Limited (the ''Authority'') which means that we are able to act as a sponsor...
Ogier
The law of mistake in Jersey is well established. The authorities make it clear that the Court will consider an application to set aside a trust and/or transfers onto trust on the grounds of mistake against three questions...
Ogier
In the recent decision of The Representation of Vistra Fiduciary Limited [2022] JRC 164, the Royal Court moved away from the Court of Appeal's preferred test for rectification of a trust instrument set out in...
Carey Olsen
In a recent decision, the Royal Court has expressed reluctance to grant relief on the grounds of mistake in circumstances where, rather than a settlor being unaware of and therefore mistaken...
Carey Olsen
In a recent decision, the Royal Court has expressed reluctance to grant relief on the grounds of mistake in circumstances where, rather than a settlor being unaware of and therefore mistaken...
Walkers
This briefing sets out Jersey's adoption of rigorous international tax and regulatory standards, which, in conjunction with local tax laws, make the jurisdiction an ideal location for investment funds...
Ogier
The Taxation (Partnerships - Economic Substance) (Jersey) Law 2021 (the Law) came into force on 8 October 2021 with an effective date of 1 July 2021 and a six month transition period to 1 January 2022...
Ogier
At present, the purchase of a property through the acquisition of the share capital of a property owning company is exempt from stamp duty.
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