Leaving the UK Tax System Legally
Partner Webinar
18th June 2026 · 1PM BST
Reserve My Seat
Partner Webinar  ·  In Association With [Law Firm Name]

Leaving the UK Tax System Legally

A step-by-step walkthrough for HNWIs and founders.

Join Will Hodgson, Managing Director of HPT Group, for a 60-minute private session co-hosted with [Law Firm Name]. A working framework for clients considering relocation, non-dom reassessment, or pre-exit structuring under the 2026 rules.

Will Hodgson — Managing Director, HPT Group  ·  65+ Jurisdictions  ·  Trusted by Swiss private banks, UK law firms, and international family offices

Reserve Your Place

Free registration · 18th June 2026 · 1PM BST

Free registration  ·  No obligation  ·  [Law Firm Name] client priority pathway

Who This Is For

The client this session
was designed for.

01

You're a UK-resident HNWI weighing relocation before the next Finance Act window closes. You have the means to move. What you need is a structure that holds — defensible, bankable, and not requiring re-engineering in three years.

02

You're a non-dom reassessing your position after the 2025 rule changes and unsure which jurisdiction now works. The advice you've received so far has been theoretical. You need something written that you can act on.

03

You're a founder approaching an exit and need your holding structure defensible to HMRC, your bank, and your buyer. The window to restructure before completion is shorter than most advisors acknowledge.

04

You're an entrepreneur already operating across borders but holding everything through structures that won't survive CRS scrutiny. The gap between how your structure looks on paper and how it performs under banking and regulatory review is the risk.

05

You're a family office principal who has been quoted theoretical structures by formation agents and wants to see what actually holds — at the banking stage, under CRS, and across the jurisdictions your assets actually sit in.

What You Are Dealing With

The situation,
stated plainly.

You've been quoted three different jurisdictions by three different advisors and none of them have explained why.

You've read about the 2025 non-dom changes but no one has shown you what to actually do about them.

You hold assets through structures set up five years ago and you suspect they no longer satisfy banking or CRS requirements.

You've considered relocation but every conversation ends in a £25,000 retainer before anyone tells you whether it's the right move.

You know the cost of getting this wrong — frozen accounts, HMRC enquiries, a structure your bank refuses to onboard — and you want certainty before you commit.

Session begins in

00 Days
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00 Hours
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Session Structure

What we are
covering.

A 60-minute working session. Four structured parts. Each one actionable.

01 Hour 1 — The 2026 Landscape

Hour 1 — The 2026 Landscape

What changed in the 2025 Finance Act, what is changing under the 2026 rules, and which planning windows are closing. A factual baseline before any structuring conversation, followed by a walkthrough of the Cook Islands Trust → Liechtenstein Anstalt → BVI holding model — why each layer exists, what each one protects against, and where formation agents typically get it wrong.

02 Hour 2 — Banking and CRS Reality

Hour 2 — Banking and CRS Reality

Why most offshore structures fail at the banking stage. What private banks in Switzerland, Singapore, and the UAE actually require in 2026. How to structure so accounts open, not freeze. The specific banking, CRS, and BEPS requirements your structure must satisfy under the 2026 rules.

03 Hour 3 — The Diagnosis Pathway

Hour 3 — The Diagnosis Pathway

How HPT works with HNWI clients from first conversation to written structure plan. What a Single Issue Diagnosis (£1,500) and Entrepreneur Blueprint (£7,500) include, what each delivers in writing, and how introductions from [Law Firm Name] are handled on a priority pathway.

Client Experience

The work product
speaks for itself.

Elena

"HPT gave me a written structure plan within a week. My accountant said it was the clearest offshore analysis he had ever seen from a third party."

Elena E-Commerce Founder, Relocated to Dubai
Amara

"I had spoken to two other firms before HPT. The difference was immediate. They understood my business in the first call and had a proposal on my desk in 48 hours."

Amara Tech Entrepreneur, Singapore Residency Engagement
Mei

"We refer clients to HPT because the work product is consistent. Every structure they deliver is one we can defend, document, and bank."

Mei Senior Associate, UK Private Client Law Firm
Session Takeaways

What you will
leave with.

Four working frameworks you can act on — with or without engaging HPT after the session.

01
The Three-Layer Offshore Structure The Cook Islands Trust, Liechtenstein Anstalt, BVI holding model — what each layer actually defends against, and the failure points formation agents routinely introduce.
02
The Closing Planning Window How the 2025 non-dom rule changes and the 2026 Finance Act rewrite the planning window for UK-resident HNWIs — and what to do before it closes.
03
Banking and CRS Requirements The specific banking, CRS, and BEPS requirements your structure must satisfy in 2026 — and why most existing offshore structures now fail at onboarding.
04
The HPT Engagement Model How the Single Issue Diagnosis and Entrepreneur Blueprint work, what each delivers in writing, and how [Law Firm Name] clients are handled on a priority pathway.
For Registered Attendees

What registration
includes.

Attendee Benefit · 01

Priority Diagnosis Pathway

Webinar attendees referred by [Law Firm Name] receive a 48-hour response time on Single Issue Diagnosis applications, ahead of the standard queue. The pathway is confirmed at the time of registration — no separate application required.

Attendee Benefit · 02

Written Structure Memorandum

Three attendees selected at random will receive a complimentary preliminary structure assessment — a written memorandum from a senior director, normally part of the £1,500 Diagnosis engagement. Recipients are notified within 48 hours of the session.

About the Host
Will Hodgson, Managing Director, HPT Group
Managing Director Will Hodgson

Will Hodgson
Managing Director, HPT Group.

Hi, I'm Will Hodgson, Managing Director of HPT Group. We build international corporate structures that hold — defensible to HMRC, bankable with private banks in Zurich, Singapore, and Dubai, and permanent enough that our clients are not re-engineering them every two years.

Across 65+ jurisdictions we have structured for HNWIs, entrepreneurs, family offices, and fintechs operating across borders. Our work is referred by Swiss private banks, UK law firms, and international family offices because the work product is consistent.

This webinar exists because the planning window is narrowing. If you act in the next twelve months, you have options. If you wait, fewer.

65+
Jurisdictions
3
Private banking hubs
£1.5k
Entry — Single Issue Diagnosis
48h
Proposal turnaround
Frequently Asked

Questions
addressed.

Yes. The webinar is hosted by [Law Firm Name] for their existing client list. No fee. No obligation.
A 48-hour replay is provided to registered attendees. For full access to the structure walkthrough and the Q&A, attend live.
The session is at 1PM BST on 18th June 2026. A calendar invite with timezone conversion is sent on registration.
No preparation is required. If you already hold offshore structures, having a one-line summary of the current setup will make the Q&A more useful.
No. The framework applies to any HNWI or founder considering cross-border structuring, but the 2025 and 2026 rule changes discussed are UK-specific.
This is not tax advice. It is a structural framework session. Attendees seeking a specific personal recommendation should apply for a Single Issue Diagnosis after the webinar.

Last Opportunity

Register —
limited seating.

The session is private and capacity is fixed. Registration closes when seats are filled or at 11:59PM BST on 17th June 2026.

Register — Limited Seating

18th June 2026  ·  1PM BST

Free registration  ·  [Law Firm Name] client priority pathway  ·  No obligation