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Court of Appeal finds that distributions debited to company’s share premium account were dividends that were not capital in nature (Beard v HMRC)

Published on: 07 May 2025

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  • Why it matters
  • Case details

Article summary

Tax analysis: In Beard v HMRC (2 May 2025), the Court of Appeal upheld decisions of the First-tier Tax Tribunal (FTT) and Upper Tribunal (UT) that distributions the taxpayer received from an overseas company, which were debited from the company’s share premium account, were dividends that were not capital in nature and were therefore chargeable to income tax.

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