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    TC09623 - [2025] UKFTT 01064 (TC)
    First-tier Tribunal (Tax Chamber)

    TC09623 - [2025] UKFTT 01064 (TC)

    Fecha: 12-Ago-2025

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    • Heading
    • Introduction
    • THE FACTUAL BACKGROUND
    • DISCUSSION
    • Submissions
    • HMRC are in breach of their obligations under the taxpayer’s charter on which the appellant is entitled to rely
    • The best approach to evidence is to rely on documents, but these are no no longer obtainable
    • There were significant changes to the tax landscape in this area, given Rangers and Hoey , and the issues around the imposition of the loan charge. These needed to be clarified before these appeals co
    • There has been no delay since the submission of the appeal to the tribunal
    • There is no evidence that HMRC have failed to cooperate with the tribunal in furtherance of the overriding objective
    • Staleness is not relevant in this context. This is not a situation where an assessing officer has sat on discovery before issuing the assessment. Furthermore, given the decision in HMRC v Tooth [2021]
    • My view
    • Pleading the fair trial issue
    • Conclusions

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