Rebecca Sheldon case note in the British Tax Review

Rebecca Sheldon case note in the British Tax Review

Rebecca Sheldon has written a case note for the British Tax Review on Financial Reporting Council Limited v Frasers Group Plc (formerly Sports Direct International Plc) [2020] EWHC 2607 (Ch). This case has important implications for litigation, as it outlines the meaning of the “dominant purpose” of a document or evidence if claiming litigation privilege. This was in the context of reports which involved tax advice.

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