BAILII is celebrating 24 years of free online access to the law! Would you consider making a contribution?
No donation is too small. If every visitor before 31 December gives just £1, it will have a significant impact on BAILII's ability to continue providing free access to the law.
Thank you very much for your support!
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] | ||
United Kingdom VAT & Duties Tribunals Decisions |
||
You are here: BAILII >> Databases >> United Kingdom VAT & Duties Tribunals Decisions >> Discount Furniture Direct Ltd v Revenue & Customs [2008] UKVAT V20566 (05 February 2008) URL: http://www.bailii.org/uk/cases/UKVAT/2008/V20566.html Cite as: [2008] UKVAT V20566 |
[New search] [Printable RTF version] [Help]
20566
VAT - SECURITY– Protection of Revenue –– the Appellant's director involved with three separate companies which went into liquidation owing significant VAT –– Appellant had poor record of VAT compliance –– Whether Respondents' actions in requiring a security reasonable –Yes –– Appeal dismissed –– VAT ACT 1994 Schedule 11 p 4(1)
LONDON TRIBUNAL CENTRE
DISCOUNT FURNITURE DIRECT LIMITED Appellant
- and -
HER MAJESTY'S REVENUE and CUSTOMS Respondents
Tribunal: MICHAEL TILDESLEY OBE (Chairman)
RICHARD CORKE FCA (Member)
Sitting in public in Bristol on 11 January 2008
David Wright, director, for the Appellant
Pauline Crinnion of the Solicitor's Office of HM Revenue & Customs, for the Respondents
© CROWN COPYRIGHT 2008
DECISION
The Appeal
"Discount Furniture Direct has no connection to a previous company owned by myself, offering a totally different product and services. Enforcement of this request would have a serious effect on the business".
The Issue to be Decided
The Legislation
"If they think it is necessary for the protection of the revenue, the Commissioners may require a taxable person, as a condition of his supplying or being supplied with goods or services under a taxable supply, to give security, or further security, for the payment of any VAT that is or may become due from –
a) the taxable person, or
b) any person by whom or to whom relevant goods or services are supplied."
The Facts
Reasons for Our Decision
Decision
MICHAEL TILDESLEY OBE
CHAIRMAN
RELEASE DATE: 5 February 2008
LON/07/706