MJP Media Services Limited v 皇冠体育app Commissioners for HM Revenue and Customs: [2011] UKUT 100(TCC)

Upper Tribunal Tax and Chancery decision of Mr Justice Arnold on 2 September 2011.

Read the full decision in .

Corporation Tax 鈥� deduction claimed in respect of loan relationship debit - whether transactions for the lending of money.

Updates to this page

Published 1 December 2016