17 July 2026
On Monday 13 July 2026 (‘L-Day’), the government published a number of draft clauses intended for the next Finance Bill for technical consultation. The draft clauses are accompanied by explanatory and impact notes. Comments from stakeholders are invited by 7 September 2026, subject to a few exceptions. The government also published four new consultations and several consultation outcomes. The Exchequer Secretary to the Treasury, Dan Tomlinson MP, also issued a written ministerial statement summarising the draft legislation and consultations.
Draft legislation included:
New consultations included:
The Taxation (Energy and Vehicles) Bill completed its stages in the House of Lords on 14 July 2026. No amendments were made to the version that was passed by the Commons on 1 July 2026. The Bill received Royal Assent on 15 July 2026 and has now become Taxation (Energy and Vehicles) Act 2026. As a reminder, the Act increases the Electricity Generator Levy (EGL) rate from 45% to 55% with effect from 1 July 2026. It also includes legislation for two vehicle-taxation changes announced in May 2026 in relation to approved mileage allowance rates for 2026/27, and a temporary vehicle excise duty exemption for certain heavy goods vehicles.
On 13 July 2026, HMRC updated their guidance on the extended deadline for corrections to Global Information Returns (GIRs) that were submitted by the 30 June 2026 deadline but failed validation. Such GIRs will be recorded as successful submissions within HMRC systems on the date of original filing on condition that they are amended to pass validations and are re-submitted on or before 1 September 2026 (previously the deadline was by the end of 31 July 2026). Penalty relief for UK Pillar Two self-assessment returns and/or overseas return notifications remains available until 31 July 2026 (see previous Business Tax Briefing).
Align Technology Switzerland GmbH and Align Technology BV (herein referred to together as ‘Align’) make removeable orthodontic appliances used to correct misaligned teeth (Aligners). Align treated its supplies of Aligners as VAT exempt as supplies of dental prostheses within Items 2 and 2A of Group 7, Schedule 9, VAT Act 1994. HMRC considered that Aligners were not dental prostheses, and that supplies of Aligners should accordingly be standard rated. On appeal, the First-tier Tribunal (FTT) concluded that the word ‘prosthesis’ can include devices that improve bodily function, and that VAT exemption for the supply of Aligners would be consistent with the objectives of the exemption and allowed Align’s appeal. The Upper Tribunal (UT) has allowed HMRC’s appeal on the basis that the FTT erred in its interpretation of the phrase ‘dental prostheses’ and thereby misapplied VAT Act 1994.
In considering the points around statutory construction, dictionary definitions, and case law on the meaning of a ‘prosthesis’ and ‘dental prostheses’, and reviewing the EU VAT Committee Guidelines and relevant Working Paper, the UT concluded that ‘dental prostheses’, as used in the exemption, means “artificial items which replace missing or damaged teeth. They do not include the Aligners”. The UT set aside the FTT decision and HMRC’s appeal was allowed. (Contact: Phil Simmons)
On 13 July 2026, the UK and Switzerland announced the conclusion of negotiations on an enhanced Free Trade Agreement (FTA), following just over three years of talks. Read more on what the UK-Switzerland FTA means for businesses in Deloitte’s insights article.
The next EMEA Dbriefs webcast will take place on Thursday 23 July 2026 at 12.00 BST/13.00 CEST. In The UK’s new International Controlled Transactions Schedule: what do you need to know?, we’ll cover the international controlled transaction schedule (ICTS), a new UK transfer pricing requirement from 1 January 2027. Our panel will discuss which businesses are expected to be within the ICTS’s scope, the transactional information to be reported, the reporting of different types of transactions, special rules for regulated banks, and the areas covered by HMRC’s consultation.