Ymwadiad: Nid cyngor cyfreithiol yw hwn. Mae deddfwriaeth a chyfraith achosion yn newid. Ymgynghorwch bob amser â chyfreithiwr cymwys ar gyfer eich sefyllfa benodol.

Pob achos
Tax Law
House of Lords
1982

W T Ramsay Ltd v IRC

[1982] AC 300

Ratio Decidendi

Where a transaction is carried out as a series of pre-ordained steps with no commercial purpose other than tax avoidance, the court should look at the composite transaction as a whole rather than each step in isolation.

Ffeithiau

The taxpayer company entered into a series of self-cancelling transactions designed to create an artificial capital loss for tax purposes.

Crynodeb o'r dyfarniad

The House of Lords held that the court should look at the realistic effect of the composite transaction. Where steps are pre-ordained and have no commercial purpose, the court considers their combined effect.

Dyfyniadau allweddol

"The court is not confined to the form of the transaction but can look at its substance and effect."

Lord Wilberforce

Triniaeth ddilynol

Leading Authority

Foundation of the purposive approach to tax avoidance in UK law.