Legal and Regulatory Information

Beverley Morris & Co. is a partnership constituted under the law of England and Wales and is authorised and regulated by the Solicitors Regulation Authority.  Our SRA numbers are: 451038 (Blackheath office).  The Partners of the firm are solicitors qualified in England and Wales.

Partners: Beverley Morris, Angela Stanton, and Rahat Munim.

A copy of the Code of Conduct 2011, which sets out the rules of professional conduct which apply to solicitors is available on the SRA’s website:

Beverley Morris & Co. maintains professional indemnity insurance as required by the Solicitors’ Indemnity Insurance Rules.  Details of our current insurers are available upon request from the Blackheath office.

We are registered with the UK Information Commissioner’s Office (ICO) as a data controller under registration number Z9689559.

Blackheath Office

35 Montpelier Vale
Blackheath Village
London SE3 0TJ

Tel: 020 8852 4433
Fax: +44 (0)20 8463 9494
DX: 50902 Blackheath

Beverley Morris & Co.’s VAT number is 900 4841 56.

Statement of Compliance 

As a firm, we value our reputation for ethical behaviour and for financial probity and reliability.  We recognise that over and above the commission of any crime, any involvement in the facilitation of tax evasion will also reflect adversely on our image and reputation.

We do not tolerate tax evasion, or the facilitation thereof in any circumstances, whether committed by or facilitated by a client, personnel or associated persons/companies.

We are committed to fighting tax evasion and have rigorous policies and procedures in place to detect and prevent the facilitation of tax evasion offences.

We provide regular training on the requirements of the Criminal Finances Act 2017 to all personnel.

We require all personnel to demonstrate the highest standards of honesty at all times and appropriate disciplinary action will be taken wherever tax evasion or the facilitation thereof by any personnel has been proven.

We undertake due diligence on all associated persons / companies to mitigate the risk of facilitation of tax evasion offences and, as part of our due diligence procedures, all agreements with third parties contain suitable provisions to enable termination of such agreements where associated persons / companies are not complying with the provisions of the Criminal Finances Act 2017.

Beverley Morris