CL-2018-000297, CL-2018-000404, CL-2018-000590, - [2025] EWHC 2364 (Comm)
Commercial Court

CL-2018-000297, CL-2018-000404, CL-2018-000590, - [2025] EWHC 2364 (Comm)

Fecha: 02-Oct-2025

Invalidity

B.

Invalidity

43.

In this section, I explain why I concluded that SKAT was not liable to pay any of the 4,170 tax refund claims that give rise to the claims pursued in these proceedings. At trial, that was conceded, so far as material to the claims pursued against them, by the Shah Ds, the DWF Ds, Mr Klar and Lindisfarne. It was for SKAT to prove it, if it could, against all other trial defendants, although it was actively contested only by the Jain Ds, Godson Ds and Mr Fletcher.

44.

It is convenient to explain how the trading worked in sufficient detail that what needs to be said about that for the purpose of later sections of this judgment has also been set out. This section of the judgment therefore goes further than would be required just to confirm the invalidity of the tax refund claims.