In this month’s podcast we:

  • consider the circumstances in which statements labelled as “warranties” in a transaction document could also constitute representations;
  • review a decision involving a claim for fraudulent breach of warranty against a corporate seller; and
  • confirm that HMRC does not have special status preventing it from being “crammed down” in a Part 26A restructuring plan.

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This episode is part of our Talking Business podcast series, in which our experts provide guidance on navigating the practical aspects of corporate law and the tricky regulatory landscape.

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