Quote:
Originally Posted by Sephiroth
Why not? Operating company in the UK and its asset centre in Luxembourg or somewhere? Development money is lent from the offshore HQ to the operating company and interest payments back to the HQ company disappear from taxable profits.
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Operate in the UK, generate revenue in the UK, pay tax in the UK. Not difficult to grasp. The imperative is compounded by the fact that they are trading in a fake free market of national infrastructure assets.