The Disclosure application
The Disclosure application
This is couched in the following terms:
“By no later than 28 days from the date of this Order, the Respondents shall provide to the Appellant all documents and information in its possession, power or control which relate to its calculation of the Appellant’s purported tax liability, as shown on the Appellant’s self-assessment account, including but not limited to, a full reconciliation of the purported tax liability and accompanying explanation, as well as an explanation of and details of the separate account in which the Appellant’s monthly £8,000 payments under the Time to Pay Arrangements are held”.
- Heading
- INTRODUCTION
- THE LAW
- THE EVIDENCE AND THE FACTS
- THE APPLICATIONS
- The Disclosure application
- The strike out application
- DISCUSSION
- Neither the grounds of appeal nor anything subsequently set out in the appellant’s skeleton argument provide sufficient information of the basis of challenge to enable HMRC to draft its statement of c
- My view
- Conclusions
![TC09588 - [2025] UKFTT 00876 (TC)](https://backend.juristeca.com/files/emisores/logo_7HSuEAV.png)