Anne Fairpo#1454

Anne Fairpo

With effect from 1 June 2021, Anne Fairpo is a judge of the First-tier Tribunal sitting in the Tax Chamber. She was previously a fee-paid judge in the same Chamber. Her contributions to LexisPSL Tax and TolleyGuidance were written before her full-time appointment and are her personal view as she is not authorised to write on behalf of the Tribunals Service or the judiciary.
 
Until April 2021, Anne was a tenant at Temple Tax Chambers. She was called to the bar in 2009 after 15 years as a solicitor. Anne’s experience and expertise covers UK and international corporate tax planning and disputes, having acted for a range of clients from small owner-managed businesses to listed multinationals, as well as having advised on intellectual property taxation and UK-US cross-border tax planning, with regard to both direct and indirect tax matters. 
Contributed to

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Vaccine research relief (pre-1 April 2017) [Archived]
Vaccine research relief (pre-1 April 2017) [Archived]
Practice notes

ARCHIVED: This Practice Note has been archived and is not maintained. This Practice Note explains that large companies are entitled to corporation tax relief for expenditure incurred before 1 April 2017 on research and development (R&D) relating to certain vaccines and medicines and sets out what types of expenditure on qualifying R&D qualifies for such relief. It also explains how the additional deduction may be claimed. The relief does not apply to expenditure incurred on or after 1 April 2017. This Practice Note was produced in partnership with Anne Fairpo, barrister.

Valuing IP
Valuing IP
Practice notes

This Practice Note examines the purpose of intellectual property (IP) valuation and introduces two methods of valuation (cost-based method and economic-based method). It then explains why and how IP is valued. In general, the principal aim of the valuation exercise will be to establish the market value of the IP. This note explains the different approaches used, being a comparison approach, an income approach and a cost approach. Each broad approach encompasses various valuation methods.

What happens when an intangible fixed asset is realised?
What happens when an intangible fixed asset is realised?
Practice notes

This Practice Note considers the tax treatment where a company’s intangible fixed assets are realised. A company’s receipts from exploiting assets falling within the intangible fixed assets regime are charged to corporation tax as income. A corporation tax charge may also arise on a realisation or part-realisation of an intangible asset. Produced in partnership with Anne Fairpo, barrister.

What is an intangible fixed asset?
What is an intangible fixed asset?
Practice notes

This Practice Note considers the meaning of an intangible fixed asset for corporation tax purposes. An intangible fixed asset has the same meaning for tax purposes as for accounting purposes and specifically includes internally generated assets. The definition covers goodwill and specific items of intellectual property, including patents, trade marks, registered designs, copyrights and design rights. This Practice Note was produced in partnership with Anne Fairpo, barrister.

What is an intangible fixed assets group?
What is an intangible fixed assets group?
Practice notes

This Practice Note looks at the definition of a group of companies for the purposes of the intangible fixed assets regime, which in practice follows the definition for capital gains tax purposes. A number of reliefs in respect of intangible fixed assets depend on membership of a group. This Practice Note was produced in partnership with Anne Fairpo, barrister.

Withholding tax on royalties
Withholding tax on royalties
Practice notes

This Practice Note outlines the UK rules on withholding tax on royalties or other payments in respect of intellectual property (IP), including the changes introduced by the Finance Act 2016. This Practice Note was produced in partnership with Anne Fairpo, barrister.

Practice Areas

Panels

  • Consulting Editorial Board
  • Contributing Author

Qualified Year

  • 2009

Membership

  • Chartered Institute of Taxation (Council Member and Trustee), Revenue Bar Association, VAT Practitioners Group, American Bar Association, Taxation

Qualification

  • MA (Oxon), CTA (Fellow)

Education

  • University of Oxford, CTA

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