Dawn Fidler v The Commissioners for HMRC

Dawn Fidler v The Commissioners for HMRC

The appeal was admitted out of time because the delay was minimal (two days), caused by postal strikes, and the Appellant took reasonable steps to comply. There was no prejudice to HMRC, and the statutory requirements for a valid appeal were met. The strike out application was stayed pending clarification of HMRC’s...

Source-derived case information.

Parties
Appellant: Dawn Fidler as the Executor of the Estate of Kevin Fidler (Deceased); Respondent: The Commissioners for His Majesty’s Revenue and Customs
Jurisdiction
England and Wales
Procedural Posture
Tax Appeal / Application to Admit Late Appeal and Application for Strike Out
Outcome
Appeal admitted out of time; strike out application stayed.
Legal Topics
Late Appeal, Strike Out Application, Closure Notice Validity, Jurisdiction of Tribunal
Tax Law Civil Procedure Late Appeal Strike Out Application Closure Notice Validity Jurisdiction of Tribunal

Source-derived case record

Summary, issues, holding and outcome

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Parties

Dawn Fidler as the Executor of the Estate of Kevin Fidler (Deceased)

Appellant

The Commissioners for His Majesty’s Revenue and Customs

Respondent

Procedural Posture

Tax Appeal / Application to Admit Late Appeal and Application for Strike Out

  1. 1 Whether the appeal against the closure notice should be admitted out of time
  2. 2 Whether the appeal should be struck out for lack of jurisdiction due to alleged invalidity of closure notice

Ratio Decidendi

The appeal was admitted out of time because the delay was minimal (two days), caused by postal strikes, and the Appellant took reasonable steps to comply. There was no prejudice to HMRC, and the statutory requirements for a valid appeal were met. The strike out application was stayed pending clarification of HMRC’s position in the related Murphy appeal.

Court Disposition

Appeal admitted out of time; strike out application stayed.

Orders

  • The appeal is admitted out of time.
  • The strike out application is stayed pending clarification of HMRC’s position in the Murphy appeal.