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schedule d case viincome vs capital
Rose J in Manduca v Revenue and Customs Comrs
[2015] UKUT 0262 (TCC)
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
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