At Bloomsbury Law, we are able to advise you on many UK tax matters. We also specialise in contentious tax matters including tax tribunals.
We always seek to provide our tax advice in a complementary manner to our other services. We are responsive, pride ourselves on our integrity and keeping tax simple. We will help you resolve disputes with Her Majesty’s Revenue & Customs (HMRC) quickly and amicably. However, we will also help you defend yourself robustly against HMRC proceedings if required.
As well as contentious work, we also provide pragmatic tax advice to non-UK individuals and their businesses coming to the UK. We advise individuals, corporates, partnerships and sole traders.
Our tax department has many connections and in specialist matters we work closely with specialist tax barristers, non-UK tax advisers and valuation professionals.
Our Areas of Expertise
Our tax law department has the ability and resources to handle all types of tax matters:
- Business Tax Dispute Resolution
- Business Tax
- Buy To Let Tax
- Capital Gains Tax
- Corporate Tax Return
- Inheritance Tax
- National Insurance Tax
- Personal Tax
- Private Client Wealth Management
- Real Estate Tax
- Sole Trader Tax
- Stamp Duty Land Tax
- Tax Dispute Resolution
- Tax Returns
- VAT UK
We are also active in
- HMRC tax disputes and enquiries (including VAT)
- Employment Taxes: covering PAYE and NIC liabilities, design and implementation of tax efficient employee & executive share plans
- High Net Worth individuals coming to and leaving the UK
- Taxation of Directors and taxation of Executive rewards
- Taxation of partners
- Taxation of property including stamp duty land tax and VAT
- Tax review of documents
What do I do next?
Contact us online or speak to one of our dedicated specialists on 0207 998 7777 for a free initial consultation. With our vast experience in the field, our bilingual speaking team will work with you to ensure this process runs as smooth as possible. All information you provide us with is treated with the utmost confidentiality.
We will contact you no later than the next working day to arrange a meeting at our offices in London W1 to advise on the agreement.