Malcolm Gray v The Commissioners for HMRC

Malcolm Gray v The Commissioners for HMRC

Mr Gray has standing to continue the appeal because the discovery assessments and wrongdoing penalty were excluded from the sequestration petition, so continuing the appeal does not compete with creditors or affect the assets available to pay creditor claims.

Source-derived case information.

Parties
Appellant: Malcolm Gray; Respondent: The Commissioners for His Majesty’s Revenue and Customs; Trustee in Bankruptcy: Dunedin Advisory Ltd
Jurisdiction
England and Wales
Procedural Posture
Tax Appeal / Preliminary Issue Determination
Outcome
Appellant has standing to continue the appeal.
Legal Topics
Standing in Bankruptcy, Discovery Assessments, VAT Assessments, Self Assessment Penalties
Bankruptcy Tax Standing in Bankruptcy Discovery Assessments VAT Assessments Self Assessment Penalties

Source-derived case record

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Parties

Malcolm Gray

Appellant

The Commissioners for His Majesty’s Revenue and Customs

Respondent

Dunedin Advisory Ltd

Trustee in Bankruptcy

Procedural Posture

Tax Appeal / Preliminary Issue Determination

  1. 1 Whether the appellant has standing to continue the appeal after sequestration
  2. 2 Whether the trustee in bankruptcy has standing to continue the appeal
  3. 3 Effect of discharge from bankruptcy on standing

Ratio Decidendi

Mr Gray has standing to continue the appeal because the discovery assessments and wrongdoing penalty were excluded from the sequestration petition, so continuing the appeal does not compete with creditors or affect the assets available to pay creditor claims.

Court Disposition

Appellant has standing to continue the appeal.

Orders

  • HMRC directed to provide a Statement of Case to Mr Gray, Dunedin, and the Tribunal within 45 days.
  • HMRC and Mr Gray directed to copy all Tribunal correspondence to each other and Dunedin.