Citibank NA v Revenue & Customs [2014] UKFTT 1063 (TC) (28 November 2014)

Citibank NA v Revenue & Customs [2014] UKFTT 1063 (TC) (28 November 2014)

HMRC's statement of case was not sufficiently clear regarding allegations of dishonesty and fraud against the appellant and certain third parties; HMRC must amend its statement of case to clarify whether it alleges a dishonest state of mind against the appellant and relevant third parties, and to particularise...

Source-derived case information.

Citation
[2014] UKFTT 1063
Parties
Appellant: Citibank NA; Respondents: The Commissioners for Her Majesty’s Revenue & Customs
Jurisdiction
United Kingdom
Judgment Date
28 November 2014
Procedural Posture
VAT Appeal (mtic Fraud) / Interlocutory Ruling on Request for Further and Better Particulars
Outcome
Application for further and better particulars granted in part; HMRC directed to amend statement of case to clarify allegations of dishonesty and fraud.
Legal Topics
MTIC Fraud, Pleading Requirements, Statement of Case, Particularisation, Corporate Knowledge, Timeliness of Assessment
Tax Law VAT Civil Procedure MTIC Fraud Pleading Requirements Statement of Case Particularisation Corporate Knowledge +1 more

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Parties

Citibank NA

Appellant

The Commissioners for Her Majesty’s Revenue & Customs

Respondents

Procedural Posture

VAT Appeal (mtic Fraud) / Interlocutory Ruling on Request for Further and Better Particulars

  1. 1 Whether HMRC's statement of case was sufficiently particularised
  2. 2 Whether allegations of dishonesty/fraud were clearly pleaded
  3. 3 Whether further particulars should be provided

Ratio Decidendi

HMRC's statement of case was not sufficiently clear regarding allegations of dishonesty and fraud against the appellant and certain third parties; HMRC must amend its statement of case to clarify whether it alleges a dishonest state of mind against the appellant and relevant third parties, and to particularise primary facts relied upon. The appellant is not entitled to exhaustive particulars at this stage; only primary facts must be pleaded, with details to follow in evidence.

Court Disposition

Application for further and better particulars granted in part; HMRC directed to amend statement of case to clarify allegations of dishonesty and fraud.

Orders

  • HMRC must apply to amend its statement of case to clarify whether it alleges a dishonest state of mind against the appellant and specified third parties.
  • If HMRC does not amend, it may not allege dishonesty or knowledge of contrivance/fraud against the appellant or relevant third parties at hearing.