UT/2022/000157 - [2024] UKUT 00346 (TCC)
Upper Tribunal Tax and Chancery Chamber

UT/2022/000157 - [2024] UKUT 00346 (TCC)

Fecha: 10-Jul-2024

If the Tribunal considered Mr Foster’s failure to consider the York Wine bank statements was so “serious or fundamental” that it required the whole assessment to be set aside ( Pegasus Birds [29]), wh

(11)

If the Tribunal considered Mr Foster’s failure to consider the York Wine bank statements was so “serious or fundamental” that it required the whole assessment to be set aside (Pegasus Birds [29]), what was the reason and logic behind this thinking given that (a) this was a case of Mr Foster closing his mind as opposed to fraud or corruption (Pegasus Birds [28]) and (b) taking the York Wines bank statements into account would only have dramatically increased the assessment and thus the failure to consider them was only to the respondents’ advantage?

(12)

Why it rejected HMRC’s ‘swings and roundabouts’ point made in closing submissions – i.e. that any consideration of whether an assessment was made in HMRC’s best judgment has to take into account both factors that are in the taxpayer’s favour, and those which are adverse to the taxpayer?