Upper Tribunal Tax and Chancery Chamber
UT (Tax & Chancery) UT/2023/00099 - [2025] UKUT 00013 (TCC)
Fecha: 22-Oct-2024
The Law
The Law
The FTT set out the relevant legislation, which was not in dispute, at [16] – [26]. We summarise the relevant provisions below, together with related case law. The case law relevant to Ground 2 is at §81ff below.
- Heading
- Introduction
- Background
- The period before the assessments
- HMRC’s letter of 7 January 2019
- Subsequent correspondence regarding provision of evidence
- The assessments
- Further correspondence
- Review decision
- The Appellant’s grounds of appeal to the FTT
- The FTT’s findings and conclusions
- The Law
- European law
- Domestic statute and secondary legislation
- Appeal rights against HMRC’s assessments
- Relevant case law
- FIRST GROUND OF APPEAL
- Appellant’s submissions
- HMRC’s submissions
- The FTT Rules and the case law
- Discussion and conclusion
- SECOND GROUND OF APPEAL
- The case law on jurisdiction
- Petroma
- Boyce
- Scandico
- The Appellant’s submissions
- Discussion and analysis
- The facts
- Application of the law to the facts
- The Gora principle
- The substantive appeal
- Implications
- Conclusions