Agar Ltd v Revenue & Customs [2011] UKFTT 773 (TC) (06 December 2011)

Agar Ltd v Revenue & Customs [2011] UKFTT 773 (TC) (06 December 2011)

HMRC is not required to consider special circumstances or reasonable excuse before assessing a penalty under Schedule 56; penalty calculation must exclude defaults from subsequent tax years; penalty is not disproportionate or unfairly administered.

Source-derived case information.

Citation
[2011] UKFTT 773
Parties
Appellant: Agar Limited; Respondents: The Commissioners for Her Majesty’s Revenue and Customs
Jurisdiction
United Kingdom
Judgment Date
06 December 2011
Procedural Posture
Appeal / First Tier Tribunal (tax) Decision
Outcome
Appeal allowed in part; penalty reduced.
Legal Topics
PAYE Penalties, Schedule 56 Finance Act 2009, Special Circumstances Reduction, Reasonable Excuse, Proportionality, Common Law Fairness
Tax Law PAYE Penalties Schedule 56 Finance Act 2009 Special Circumstances Reduction Reasonable Excuse Proportionality Common Law Fairness

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Parties

Agar Limited

Appellant

The Commissioners for Her Majesty’s Revenue and Customs

Respondents

Procedural Posture

Appeal / First Tier Tribunal (tax) Decision

  1. 1 Whether HMRC must consider special circumstances reduction under para 9 before assessing penalty
  2. 2 Whether HMRC must consider reasonable excuse under para 16 before assessing penalty
  3. 3 Whether penalty was disproportionate

Ratio Decidendi

HMRC is not required to consider special circumstances or reasonable excuse before assessing a penalty under Schedule 56; penalty calculation must exclude defaults from subsequent tax years; penalty is not disproportionate or unfairly administered.

Court Disposition

Appeal allowed in part; penalty reduced.

Orders

  • Penalty reduced from £2,791.96 to £2,507.37
  • Penalty confirmed subject to reduction