HM Revenue & Customs v Dunwood Travel Ltd [2008] EWCA Civ 174 (07 March 2008)

HM Revenue & Customs v Dunwood Travel Ltd [2008] EWCA Civ 174 (07 March 2008)

The relevant prescribed accounting period for the purposes of the three year limitation in section 77(1)(a) VATA is the period in which the annual adjustment is made under TOMS (the fifth quarter), not the periods in which the supplies were made. Therefore, the assessment for the period 6/01 was within time.

Source-derived case information.

Citation
[2008] EWCA Civ 174
Parties
Respondents/claimants: THE COMISSIONERS FOR HER MAJESTY'S REVENUE & CUSTOMS; Appellant/defendant: DUNWOOD TRAVEL LIMITED
Jurisdiction
England and Wales
Judgment Date
07 March 2008
Procedural Posture
Civil Appeal / Court of Appeal Judgment on Appeal From Chancery Division
Outcome
Appeal dismissed
Legal Topics
VAT Limitation Period, Tour Operators Margin Scheme (toms), Statutory Interpretation, Delegated Legislation
Tax Law Administrative Law VAT Limitation Period Tour Operators Margin Scheme (toms) Statutory Interpretation Delegated Legislation

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Parties

THE COMISSIONERS FOR HER MAJESTY'S REVENUE & CUSTOMS

Respondents/claimants

DUNWOOD TRAVEL LIMITED

Appellant/defendant

Procedural Posture

Civil Appeal / Court of Appeal Judgment on Appeal From Chancery Division

  1. 1 Whether the three year limitation period in section 77(1)(a) of the VAT Act 1994 applies to the prescribed accounting periods in which the supplies were made or to the period in which the annual adjustment is made under TOMS.

Ratio Decidendi

The relevant prescribed accounting period for the purposes of the three year limitation in section 77(1)(a) VATA is the period in which the annual adjustment is made under TOMS (the fifth quarter), not the periods in which the supplies were made. Therefore, the assessment for the period 6/01 was within time.

Court Disposition

Appeal dismissed

Orders

  • HMRC's amended assessment for the period 6/01 in the sum of £17,260.85 is upheld.