A round up of other news this week.
The Court of Appeal has published its decision in Glencore Energy UK Ltd v Revenue And Customs, finding in agreement with the High Court that judicial review was not an available remedy for the taxpayer to contest the validity of a charging notice issued under the Diverted Profits Tax regime. A full article on this judgment will feature in next week’s Tax Matters Digest.
Comments from Stephen Cooper, Partner and head of industrial manufacturing at KPMG in the UK, on the UK’s latest Manufacturing PMI for the month of October, which shows UK manufacturing staying resilient.
The Tax Matters Digest consultation tracker for October can be found here.