← All Authorities
United Kingdom schedule d case viincome vs capital

Rose J in Manduca v Revenue and Customs Comrs

[2015] UKUT 0262 (TCC)
JurisdictionUnited Kingdom
CourtUpper Tribunal (Tax and Chancery Chamber)
Year2015
StatusBinding authority

Key Principle

A lump-sum 'investment bonus' paid to fund managers in connection with the transfer of management of a hedge fund was taxable income within Schedule D Case VI (the residual charge on annual profits or gains) rather than a non-taxable capital receipt.

Area of Law

General

Related Cases

TNLC & Anor v Gambling Commission & Ors [2026] EWHC 891 (TCC)
Aabar Holdings S.A.R.L. and others v Glencore Plc and others [2026] EWHC 877 (Comm)
Waterside Class Limited v Mowi ASA & Ors [2026] CAT 32

Ask CommonBench about this case

Get a detailed analysis of Rose J in Manduca v Revenue and Customs Comrs and how it applies to your situation.

Explain Rose J in Manduca v Revenue an...