Matthew is an Associate Director in Osborne Clarke’s tax disputes team with extensive experience in the resolution of complex disputes across all of the main taxes.
Matthew joined Osborne Clarke after several years as a solicitor in a Big Four tax disputes practice. Recent experience includes acting for major operators in the global telecoms, pharmaceutical and energy sectors as well as high-growth owner-managed businesses. Recent work includes agreed settlement on major transfer pricing and intra-group financing disputes, successful appeals against CGT on business disposals, and resolving complex VAT disputes affecting a range of Fintech companies. Other experience includes advising clients on PAYE/NICs disputes, judicial review actions against HMRC and tax penalty assessments.
The Tax Break Podcast | Tax treaty disputes
New ADR guidance, decision on 'staleness', approach to 'warehousing' claims.
Mediation for UK tax disputes: HMRC publishes new ADR guidance
The commitment of HMRC to alternative dispute resolution is welcome but flexibility in mediation and settlement is vital
The Tax Break Podcast | Implications of the Blackrock Case
The Tax Break Podcast | Tooth v HMRC: what now for discovery assessments in tax investigations?
Listen to the latest episode of the Tax Break podcast, where Veronica McMahon and Matthew Greene discuss what's next for...
TMC Tax Focus | Be prepared for tax scrutiny
With tax authorities often sceptical about the motives behind corporate decision-making, recording and being able to demonstrate the commercial rationale...