Hall of Fame

The lawyers at the very top of the profession, widely known and respected by peers and clients for their longstanding involvement in market-leading work.

Graham Aaronson

Graham Aaronson

Hall of fameJoseph Hage Aaronson LLP

Graham Aaronson KC is a founding partner of Joseph Hage Aaronson LLP and chairs the firm’s tax disputes team. During his time as a member of Pump Court Tax Chambers he established a reputation as one of the leading tax advisers and advocates of his generation. He has advised or represented most of the major corporations conducting business in the UK, appearing in many landmark cases such as BMBF v Mawson. He initiated the EU law challenges to the UK corporation tax regime in the ground-breaking Hoechst case, and since then he has been the lead counsel in most of the EU law based group litigation actions dealing with corporation tax. Since founding JHA, he has focused on helping clients resolve their tax disputes with HMRC or other tax authorities. Where necessary this will include careful preparation and conduct of litigation, but wherever possible his preference is to seek to persuade the tax authorities to accept the client’s position, or to agree a negotiated settlement that achieves the best possible outcome for the client. He specialises in commercial/corporate taxation, with particular sub-specialities in transfer pricing, oil and gas taxation, structured finance, State Aid and EU Law. He also has particular experience and expertise in dealing with football-related tax disputes, representing several very high profile players and agents. NOTABLE ACTIVITIES 2016: Asked by the Prime Minister, David Cameron, to examine the allegations of tax avoidance made against him and his family, arising out of the “Panama Papers” revelations. The Prime Minister quoted from his analysis in his personal statement to the House of Commons on 11th April 2016. 2012-13: Appointed by HMRC as chairman of the Interim Advisory Panel for the GAAR, responsible for and co-writing the legally binding Guidelines for the operation of the GAAR. 2010-11: Appointed by the Coalition Government as Leader of the ‘GAAR’ (General Anti-Avoidance Rule) study. His report, recommending and drafting a proposed General Anti-Abuse Rule, was accepted by the Government, and a GAAR based on his report and draft legislation was enacted in FA 2013. 2001-05: Part-time Special Commissioner (equivalent today to a judge of the First Tier Tribunal and the Upper Tribunal). 1995-98: Chairman of the Revenue Bar Association. 1994-97: Appointed first chairman of the Tax Law Review Committee (set up by the IFS, and under the presidency of the former Chancellor of the Exchequer, Lord Howe). Initiated its study of the UK’s tax legislation, and co-wrote its report recommending a complete re-write of the direct tax statutes (which was accepted by the Government and enacted over the following years). 1987-90: Appointed principal tax policy advisor to the Director of State Revenues, Treasury, Israel.

Rising stars

Rising stars with regular involvement in their team's key work, and recognition from peers or clients as being ones to watch.

Emily Au

Quinn Emanuel Urquhart & Sullivan, LLP

Next Generation Partners

Junior partners with significant recognition from clients and peers in the market and key roles on multiple matters.

Hugh Gunson

Charles Russell Speechlys LLP

Hugh specialises in tax disputes and investigations. His clients include internationally mobile high net worth clients and other private individuals, family businesses, trustees, entrepreneurs and corporates, both small and large. His practice covers the full range of UK taxes, both direct and indirect; including income tax, CGT, inheritance tax, SDLT, corporation tax and VAT. Hugh has experience of litigating tax cases at all levels, from the specialist tax tribunals through to the Court of Appeal and the Supreme Court. A significant element of Hugh’s practice involves remedying unsuccessful planning (often involving complex trust arrangements), including by way of claims for mistake and rectification in both the UK and offshore jurisdictions. He also acts on tax-related professional negligence disputes and other trust and commercial disputes with a tax angle. Hugh is a regular conference speaker and frequently writes in a number of tax and trust related publications, such as Tax Journal and Trusts and Trustees. He is a contributor to the most recent edition of Clarke's Offshore Tax Planning and the upcoming edition of Trust Taxation and Estate Planning. Hugh is a Solicitor-Advocate (Higher Courts Civil Proceedings). Prior to joining Charles Russell Speechlys, he spent over six years in the tax department of a magic circle law firm and a year as a barrister at Pump Court Tax Chambers. Hugh has been recognised as a 'Rising Leader' in Legal Week’s Private Client Global Elite 2022. Hugh is admitted to practise in England and Wales.

Shofiq Miah

Shofiq Miah

Stephenson Harwood

A partner in the firm's tax group who advises on a broad range of UK tax matters, including corporate and financing transactions and tax disputes. Clients value his technical expertise and client-friendly approach. Shofiq advises on all aspects of UK corporate tax. He has deep experience of advising on corporate and financing transactions, including acquisitions, disposals, reorganisations, equity raisings, loans and bonds. He has also developed specialist expertise in handling and resolving complex tax disputes, enquiries and investigations. Throughout his work, he has acted for institutional investors, listed companies, funds, private companies and individuals. He is recognised in both Chambers and Partners and Legal 500 for tax litigation and investigations.

Waqar Shah

Waqar Shah

Kingsley Napley LLP

Waqar is a Partner in the Dispute Resolution department, focusing on the resolution of complex tax matters. He acts for high net worth individuals and corporate clients across all sectors in respect of HMRC disputes and investigations across the full range of taxes. This typically includes VAT disputes, employment tax matters (including 'IR35'/off-payroll working), customs/excise duty issues, tax fraud investigations, and more recently, National Minimum Wage enquiries. Waqar is known for his commercial approach to matters involving HMRC and has a strong track record of helping clients settle without the need for a court or tribunal hearing, particularly through the effective use of Alternative Dispute Resolution (i.e. mediation) with HMRC. He also has considerable experience in judicial reviews and group litigation orders and has led high profile matters at all levels from the Tax Tribunal through to the Supreme Court (including referrals to the Court of Justice of the European Union).

Michelle Sloane

RPC

Partner. Michelle Sloane specialises in the resolution of tax disputes and white collar crime. She advises both corporates and individuals on complex tax enquiries, tax assessments and criminal investigations. Michelle has particular expertise in relation to VAT, and customs and excise duty disputes. Michelle has in-depth experience of high value appeals at all levels including before the Tax Tribunals, Court of Appeal, Supreme Court and Court of Justice of the European Union. Her expertise includes Judicial Review proceedings scrutinising HMRC’s conduct. She also advises those facing HMRC criminal investigations, allegations of participating in missing trader intra-community fraud and assists clients manage urgent issues such as HMRC "dawn raids". Before moving to the UK in 2006, Michelle worked for the New Zealand government as a tax investigator and legal adviser to the tax investigations team where she gained valuable insight into the decision making process of revenue authorities.

Heather Rowlands

Simmons & Simmons

Heather is of Counsel in the contentious tax team, specialising in disputes relating to direct and indirect taxes, including environmental taxes. She has represented clients in applications for judicial review and appeals to the Tax Tribunals, Court of Appeal and Supreme Court. She has also advised clients in connection with proceedings before the Courts in India and the Cayman Islands.

Leading individuals

The strongest partners in their field, leading on market-leading deals and endorsed by peers and clients alike.

Richard Jeens

Slaughter and May

Partner; Richard has a broad, multi-jurisdictional disputes practice covering high profile commercial litigation, public law, pensions and tax disputes. He has experience advising clients at all stages of a dispute - from how to avoid potential challenges when planning and implementing transactions through to eventual proceedings.

Iain MacWhannell

Iain MacWhannell

Joseph Hage Aaronson LLP

Iain was called to the Bar in 2006 and his practice focuses on contentious tax, fraud and investigations. He has litigated several of the leading cases on HMRC investigative powers, VAT fraud, and the Knowledge/Means of Knowledge tests. Iain manages a wide variety of work for an international client base, ranging from UHNWIs to PLCs and owner-managed businesses to trusts and funds.  He is often sought out by other legal and professional advisors for a second opinion and to help ‘unlock’ long-running or complex disputes.

Dominic Robertson

Slaughter and May

Partner; Dominic advises a wide range of businesses on all areas of tax law. His practice includes: structuring and other tax aspects of M&A, joint ventures and other corporate finance transactions tax enquiries and disputes, including EU tax State aid investigations standalone tax advisory work, including group reorganisations, CFCs, transfer pricing, and the tax treatment of IP Dominic is co-head of the firm’s Tax Disputes practice.

Rupert Shiers

Hogan Lovells US LLP

For fifteen years, Rupert has navigated complex HMRC discussions and tax litigation for corporates, individuals and pension funds, and is the Leader of our Tax Disputes team in the UK and Europe. Beyond navigation, Rupert provides technical knowledge in areas many group tax functions have not needed to develop themselves: taxpayer rights and HMRC powers, tax statutory interpretation, tax public law, tax-related evidence and procedure. His commercial approach has made him a valuable extension to in-house tax teams on a wide-range of projects.

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