Accelerated payment notices are a new counter avoidance power being used extensively by HMRC. Recipients of these notices are being compelled to pay an amount on account of tax in dispute, considerably in advance of any final determination of actual liability. Can this obligation to pay in advance be mitigated if a notice is under challenge? Two recent decisions in the Administrative Court suggest not. Both cases sought judicial review and involved unsuccessful applications to the court for interim relief.
Steve Bousher (Joseph Hage Aaronson) reviews recent decisions on accelerated payment notices as a new counter avoidance power used by HMRC.
Accelerated payment notices are a new counter avoidance power being used extensively by HMRC. Recipients of these notices are being compelled to pay an amount on account of tax in dispute, considerably in advance of any final determination of actual liability. Can this obligation to pay in advance be mitigated if a notice is under challenge? Two recent decisions in the Administrative Court suggest not. Both cases sought judicial review and involved unsuccessful applications to the court for interim relief.
Steve Bousher (Joseph Hage Aaronson) reviews recent decisions on accelerated payment notices as a new counter avoidance power used by HMRC.