Guy Bud, Associate Barrister
Guy specialises in disputes and investigations across all forms of tax, direct and indirect, for individual and corporate clients.
Guy is a barrister specialising in tax-related disputes and investigations for individual and corporate clients. He also has experience in acting for claimants in trust and tax-related professional negligence claims.
Before joining the firm, Guy completed a pupillage at Gray’s Inn Tax Chambers.
Guy is admitted to practise as a barrister in England and Wales.
Don’t Follow Me: Haworth and Follower Notices in the Supreme Court
Hugh and Guy look at Follower Notices and the recent Supreme Court case of R (Haworth) v Revenue and Customs Comrs
Northern Light: Illuminating IR35
Guy and Hugh take a look at the recent case of Northern Light Solutions Ltd v Revenue and Customs Comrs
Tooth v HMRC: Getting to the Root of the Discovery Assessment Regime
Danish tax authority loses "cum-ex" case: revenue rule reigns supreme
Hugh and Guy look at the recent decision in Skatteforvaltningen v Solo Capital Partners LLP (in special liquidation) and others
Hugh Gunson and Guy Bud write for Taxation on Financial institution notices
Amendments will be made to allow HMRC to request information for the purposes of collecting a taxpayer’s tax debt.
Odey and Hffx: partnerships with mixed membership
Examining two decisions relating to remuneration arrangements in partnerships with individual and corporate membership.
Helen Coward, Hugh Gunson and Guy Bud write for Tax Journal on remuneration arrangements in partnerships with mixed membership
Odey Asset Management LLP and HFFX LLP consider the law relating to remuneration arrangements in partnerships with mixed membership.
Hugh Gunson and Guy Bud write for Tax Journal on the guidance provided by the Upper Tribunal in Atholl House
The ‘intermediaries legislation’, commonly known as IR35, has proved an area of legal uncertainty and worry for taxpayers in recent years.