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Items with the keyword
termination_payments
Moorthy v Revenue And Customs [2018] EWCA Civ 847
Appeal against a ruling that the Claimant's payment in relation to a settlement agreement fell within section 401(1)(a) of ITEPA 2003 and was thus taxable and against the decision that awards for injury to feelings are taxable. The appeal was allowed in relation to injury to feelings.
(23/04/2018) case
CPD: 0/0 mins
Employment Settlements: Avoiding Pitfalls (webcast)
Recording of webinar first broadcast live on 17 October 2017. You need to be a paid subscriber to access this webcast; alternatively you can purchase it for £30 by calling is on 01225 577810.
(25/10/2017) resource
CPD: 0/0 mins
Tax on termination payments: draft legislation has been published
Reform of the taxation of termination payments from April 2018
(15/08/2016) news
CPD: 0/0 mins
Moorthy v Revenue & Customs [2010] UKUT 13 (TCC)
Appeal against a decision that a settlement agreement was taxable under s401 ITEPA and that HMRC should not have made a concession that £30,000 should be treated as 'injury to feelings' and therefore not taxable. Appeal dismissed.
(29/01/2016) case
CPD: 0/0 mins
July CPD Course
2 hours of CPD question on cases published in June
(30/07/2015) resource
CPD: 0/120 mins
HMRC looks to reform rules on tax and termination payments
Consultation published running until 16 October
(29/07/2015) news
CPD: 0/0 mins
April 2015 CPD Questions
6 CPD questions covering recent, and not so recent, cases relating to awards for injury to feelings
(22/04/2015) resource
CPD: 0/60 mins
January 2015 CPD Questions
9 questions relating to Mark Shulman's article on deductions, tax and holiday pay in relation to termination
(26/01/2015) resource
CPD: 0/0 mins
Termination Trio - Case Round-Up: January 2015
In this month's round-up, Mark Shulman consultant solicitor with Keystone Law, looks at recent cases on deductions, tax and holiday pay in relation to termination.
(11/01/2015) resource
CPD: 0/90 mins
Moorthy v The Commissioners for Her Majesty's Revenue & Customs [2014] UKFTT 834 (TC)
Appeal against a decision that a payment made in respect of a compromise agreement was fully taxable apart from the first £30,000. Appeal dismissed.
(18/12/2014) case
CPD: 0/0 mins
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