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First-tier Tribunal (Tax) |
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You are here: BAILII >> Databases >> First-tier Tribunal (Tax) >> Deadman Confidential Partnership v Revenue & Customs [2009] UKFTT 76 (TC) (27 April 2009) URL: http://www.bailii.org/uk/cases/UKFTT/TC/2009/TC00044.html Cite as: [2009] UKFTT 76 (TC) |
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TC00044
Appeal number 3114-3115/2008
PENALTY DETERMINATION – Failure to comply with notice under section 20 to produce bank statements – s98(1)(b)(i) and s100C TMA 1970 - £300 penalty determined
NOTICE UNDER s19A TMA 1970 – Whether reasonable to have made it – Yes – Appeal dismissed
CLOSURE APPLICATION – Enquiry – Conclusion dependent on outstanding notices under s19A TMA 1970 – Application dismissed
FIRST-TIER TRIBUNAL
TAX
THE COMMISSIONERS FOR HER MAJESTY'S
REVENUE AND CUSTOMS Applicants
- and -
ANTHONY LEONARD DEADMAN Defendant
DEADMAN CONFIDENTIAL PARTNERSHIP
ANTHONY LEONARD DEADMAN
SHARON DEADMAN
Appellants and Applicants
- and -
THE COMMISSIONERS FOR HER MAJESTY'S
REVENUE AND CUSTOMS
Respondents
TRIBUNAL: Nicholas Aleksander (JUDGE)
Sitting in public in London on 25 February 2009
Ms KJ Singal of HM Revenue & Customs for the Applicants
SK Vanniasingham FCCA of Sam Vann and Co for the Defendant
© CROWN COPYRIGHT 2009
DECISION
The Hearing
(1) appeals against two notices requiring the delivery of documents and information issued under s19A TMA, one in respect of the partnership and one in respect of Mr Deadman
(2) an application under s28B(5) TMA for a closure notice in respect of the enquiry into the partnership's tax return for the year ended 5 April 2006
(3) an application under s28A(4) TMA for a closure notice in respect of the enquiry into Mr Deadman's tax return for the year ended 5 April 2006
The Background Facts
(1) As regards Mr Deadman personally:
(a) Statements for all offshore bank accounts held at any time in the last 6 years from the date each account was opened
(b) All other personal bank statements for the year ended 5 April 2006
(c) Details with supporting evidence of the source of deposits into the offshore accounts (at (a) above)
(d) Documents and underlying records to verify income and expenditure relating to the land and property entry on the tax return
(e) Evidence to support payment of personal pension contribution of £1543
(2) As regards the partnership:
(a) Documents to be provided the period 1 December 2004 to 30 November 2005 (if the information is held in computer form, a disk of the information should also be provided)
(a) Ledgers showing partnership incomings and outgoings
(b) Partnership bank statements for all accounts, paying in books, and cheque book stubs
(c) Statements for any partnership credit cards
(d) Invoices showing sales
(e) Invoices showing expenditure
(f) Any diary or appointment book detailing work to be undertaken or done
(b) Information required for the period 1 December 2004 to 30 November 2005
(a) Provide an analysis or schedule of the following figures on the Return:
(i) Debtors and prepayments £128,889
(ii) Trade creditors and accruals £49,640 and Sundry creditors £61,835 – total £111,475
(b) Do the accounts contain any estimated or non-vouched figures. If so provide the appropriate details
(c) Do the accounts contain any figures that are solely based upon assurances given by the partners. If so provide the appropriate details.
Contentions advanced on behalf of Mr Deadman and the partnership
The Offshore Disclosure Facility
The Section 20 Notice
Section 19A Appeals
Closure Notices
Section 29 Appeals
Conclusions
Penalty under s98 TMA for failure to comply with s20 Notice
Appeals against two notices under s19A TMA
Applications for closure notices under s28A(4) and s28B(5)TMA
Appeals against further assessments to tax under s29 TMA
Nicholas Aleksander
TRIBUNAL JUDGE
RELEASE DATE: 27 April 2009
Authorities referred to in skeletons and not referred to in the decision:
R v IRC ex parte Archon Shipping Corporation (1998) 71 TC 203
Fox v Uxbridge General Commissioners (2001) 75 TC 42
Accountant v HM Inspector of Taxes (2000) SpC 258
HMRC v Sokoya [2008] EWHC 2132 (Ch)