Ian Hyde discusses the implications of participating in a lead case appeal
My group entered into a tax avoidance scheme some years ago which was marketed by my accountants and sold to a number of their clients. HMRC is now challenging the scheme and we want to appeal HMRC's assessment. My accountants have said that as no one wants to run a case on their own the best way to defend the scheme would be for all their clients to enter into a formal ‘lead case’ appeal. We won't be the lead case but what will this mean for my group?
The rules
Your accountants might be thinking of one of a number of routes – including simply holding over your appeal whilst a single case proceeds...
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Ian Hyde discusses the implications of participating in a lead case appeal
My group entered into a tax avoidance scheme some years ago which was marketed by my accountants and sold to a number of their clients. HMRC is now challenging the scheme and we want to appeal HMRC's assessment. My accountants have said that as no one wants to run a case on their own the best way to defend the scheme would be for all their clients to enter into a formal ‘lead case’ appeal. We won't be the lead case but what will this mean for my group?
The rules
Your accountants might be thinking of one of a number of routes – including simply holding over your appeal whilst a single case proceeds...
If you or your firm subscribes to Taxjournal.com, please click the login box below:
If you do not subscribe but are a registered user, please enter your details in the following boxes: