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APPEALS


Jurisdiction to make a cost order

Application for costs

Information notice; documents in the possession of the taxpayer

Disclosure of documents

Sometimes HMRC changes its mind after expressing its view to a taxpayer. But what if its original view represented an agreement? Rupert Shiers identifies practical points surrounding this issue from a recent tribunal decision

Michael Ripley says there is a ‘glaring lacuna’ for indirect tax appeals

Reasonable excuse: genuine belief

Duty fraud: validity of confiscation orders

Application for postponement of tax

Taxpayer’s negligence in completing a tax return

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