MAN (89/761)

No. 4903

Decision given 6 June 1990.

Input tax – Claim to deduct input tax on a fee note from solicitors acting in the purchase of share capital – Whether the supply of services, the subject of the fee note, were a supply to the appellant for the purpose of its business.

  The issue was whether the appellant was entitled to input tax credit on an invoice from solicitors in relation to disposals of share capital.

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