Book contents
- Frontmatter
- Contents
- Contributors and affiliations
- Foreword by Dave Hartnett
- Foreword by Hugh Ault
- 1 A comparison of statutory general anti-avoidance rules and judicial general anti-avoidance doctrines as a means of controlling tax avoidance: Which is better? (What would John Tiley think?)
- 2 The judicial approach to avoidance: some reflections on BMBF and SPI
- 3 Comparing the application of judicial interpretative doctrines to revenue statutes on opposite sides of the pond
- 4 Abuse of rights and European tax law
- 5 The US legislative and regulatory approach to tax avoidance
- 6 The law of taxation and unjust enrichment
- 7 The history of royalties in tax treaties 1921–61: Why?
- 8 Land taxation, economy and society in Britain and its colonies
- 9 Meade and inheritance tax
- 10 Taxation, human rights and the family
- 11 Family connections and the corporate entity: income splitting through the family company
- Epilogue: Establishing the foundations of tax law in UK universities
- References
- Table of cases
- Table of abbreviations
- Index
Epilogue: Establishing the foundations of tax law in UK universities
Published online by Cambridge University Press: 07 December 2009
- Frontmatter
- Contents
- Contributors and affiliations
- Foreword by Dave Hartnett
- Foreword by Hugh Ault
- 1 A comparison of statutory general anti-avoidance rules and judicial general anti-avoidance doctrines as a means of controlling tax avoidance: Which is better? (What would John Tiley think?)
- 2 The judicial approach to avoidance: some reflections on BMBF and SPI
- 3 Comparing the application of judicial interpretative doctrines to revenue statutes on opposite sides of the pond
- 4 Abuse of rights and European tax law
- 5 The US legislative and regulatory approach to tax avoidance
- 6 The law of taxation and unjust enrichment
- 7 The history of royalties in tax treaties 1921–61: Why?
- 8 Land taxation, economy and society in Britain and its colonies
- 9 Meade and inheritance tax
- 10 Taxation, human rights and the family
- 11 Family connections and the corporate entity: income splitting through the family company
- Epilogue: Establishing the foundations of tax law in UK universities
- References
- Table of cases
- Table of abbreviations
- Index
Summary
If G. S. A. Wheatcroft initiated the academic teaching of tax law in UK universities, then John Tiley ensured its continuation. Professor Tiley has been the face of UK academic tax law for the past thirty years, both in domestic and international arenas. At home he has dealt with other law teachers who were dubious about the role of taxation in the curriculum, with the professions and with government. At an international level he has ably represented the UK in gatherings of tax teachers. It seems inconceivable that he will cease making a contribution to teaching and writing on his retirement, but this marks a suitable point at which to assess the position we have reached with tax teaching in the UK and to consider the future.
In his own fascinating survey of the development of UK tax law teaching, ‘50 years: Tax, Law and Academia’, written to celebrate the fiftieth anniversary of the British Tax Review, Tiley concluded the state of the tax academy is mixed and that, whilst –
there is every reason to think that tax can and will survive as an area of study in which both research and teaching of the highest quality can be carried on in our universities … its place can, at times, seem precarious.
It is hard to argue with his conclusion without seeming complacent (and complacency would certainly be misguided) but Tiley is over-modest in his article about his own contribution and about the progress he has fronted over the last two decades.
- Type
- Chapter
- Information
- Comparative Perspectives on Revenue LawEssays in Honour of John Tiley, pp. 288 - 295Publisher: Cambridge University PressPrint publication year: 2008