Banks v Revenue & Customs (INCOME TAX/CORPORATION TAX : Appeal) [2020] UKFTT 214 (TC) (07 May 2020)

Banks v Revenue & Customs (INCOME TAX/CORPORATION TAX : Appeal) [2020] UKFTT 214 (TC) (07 May 2020)

The appellant’s chronic illness constituted a reasonable excuse for late filing and late payment for the 2010/11 tax year, as evidenced by inability to perform complex tasks and prompt action once health improved. Reliance on an accountant for late filing of the 2011/12 return did not amount to reasonable excuse, as...

Source-derived case information.

Citation
[2020] UKFTT 214
Parties
Appellant: Dr Paul Banks; Respondents: The Commissioners for Her Majesty’s Revenue and Customs
Jurisdiction
United Kingdom
Judgment Date
07 May 2020
Procedural Posture
Income Tax/corporation Tax Appeal / First Tier Tribunal Decision
Outcome
Appeal allowed in part and dismissed in part.
Legal Topics
Late Filing Penalties, Late Payment Penalties, Reasonable Excuse, Self Assessment, Chronic Illness and Compliance
Tax Law Late Filing Penalties Late Payment Penalties Reasonable Excuse Self Assessment Chronic Illness and Compliance

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Parties

Dr Paul Banks

Appellant

The Commissioners for Her Majesty’s Revenue and Customs

Respondents

Procedural Posture

Income Tax/corporation Tax Appeal / First Tier Tribunal Decision

  1. 1 Whether the appellant had a reasonable excuse for late filing of 2010/11 tax return
  2. 2 Whether the appellant had a reasonable excuse for late payment of tax for 2010/11
  3. 3 Whether the appellant had a reasonable excuse for late filing of 2011/12 tax return

Ratio Decidendi

The appellant’s chronic illness constituted a reasonable excuse for late filing and late payment for the 2010/11 tax year, as evidenced by inability to perform complex tasks and prompt action once health improved. Reliance on an accountant for late filing of the 2011/12 return did not amount to reasonable excuse, as normal work pressures and late provision of information did not demonstrate reasonable care to avoid failure.

Court Disposition

Appeal allowed in part and dismissed in part.

Orders

  • Penalties for late filing of 2010/11 tax return and late payment of 2010/11 tax cancelled.
  • Penalty for late filing of 2011/12 tax return upheld.