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Court of Appeal considers further procedural issues in relation to double tax relief for foreign dividends (HMRC v Appellants in the Post Prudential Closure Notice Group)

Published on: 05 March 2025
Published by a LexisNexis Tax expert

Table of contents

  • Why it matters
  • Case details

Article summary

Tax analysis: In HMRC v Appellants in the Post Prudential Closure Notice Group, the Court of Appeal considered a number of procedural issues relating to the ongoing group litigation on the pre-2009 dividend regime which contravened EU law.

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