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

Unjust Enrichment SKAT pursued unjust enrichment claims against almost all of the trial defendants. However, apart from Syntax (a Tax Agent, and therefore immediate recipient of payments from SKAT), and the corporate G

Unjust Enrichment

40.

SKAT pursued unjust enrichment claims against almost all of the trial defendants. However, apart from Syntax (a Tax Agent, and therefore immediate recipient of payments from SKAT), and the corporate Godson Ds (Solo Model USPFs on whose behalf a Tax Agent will have been acting, in the case of their tax reclaims), there was the difficulty in the way of any such claim that it requires enrichment to have been at the expense of the claimant, as confirmed and explained by the Supreme Court in Investment Trust Companies v Revenue and Customs Commissioners [2017] UKSC 29, [2018] AC 275 (‘ITC’).