Corporation Tax: FII group litigation: validity of time limits | Practical Law

Corporation Tax: FII group litigation: validity of time limits | Practical Law

The Supreme Court has held that the legislation that retroactively denied parties to the Franked Investment Income group litigation the benefit of the extended time limit for bringing their claims breached their legitimate expectations, and agreed to refer a further question concerning the validity of a further restriction set out in section 304 of the Finance Act 2004 to the European Court of Justice.

Corporation Tax: FII group litigation: validity of time limits

Practical Law UK Articles 3-520-0238 (Approx. 4 pages)

Corporation Tax: FII group litigation: validity of time limits

by Norton Rose LLP
Published on 28 Jun 2012United Kingdom
The Supreme Court has held that the legislation that retroactively denied parties to the Franked Investment Income group litigation the benefit of the extended time limit for bringing their claims breached their legitimate expectations, and agreed to refer a further question concerning the validity of a further restriction set out in section 304 of the Finance Act 2004 to the European Court of Justice.