Guarantee Protection Insurance Ltd v Revenue & Customs [2011] UKFTT 343 (TC) (20 May 2011

Guarantee Protection Insurance Ltd v Revenue & Customs [2011] UKFTT 343 (TC) (20 May 2011

The variable amounts ('Guarantee Premiums') charged by Pennine/PGL to customers were not charged in connection with the taxable insurance contract, nor received by any person on behalf of the insurer or by the insurer. Only the fixed premium paid to QANW and then to the insurer was relevant for IPT purposes. The...

Source-derived case information.

Citation
[2011] UKFTT 343
Parties
Appellant: Guarantee Protection Insurance Limited; Respondent: The Commissioners for Her Majesty’s Revenue and Customs
Jurisdiction
United Kingdom
Procedural Posture
Tax Appeal / Final Judgment
Outcome
appeal allowed
Legal Topics
Insurance Premium Tax, Taxable Insurance Contracts, Agency, Statutory Interpretation
Tax Law Insurance Law Insurance Premium Tax Taxable Insurance Contracts Agency Statutory Interpretation

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Parties

Guarantee Protection Insurance Limited

Appellant

The Commissioners for Her Majesty’s Revenue and Customs

Respondent

Procedural Posture

Tax Appeal / Final Judgment

  1. 1 Whether variable amounts charged by Pennine/PGL to customers are insurance premiums subject to IPT under FA 1994
  2. 2 Whether such amounts were received by or on behalf of the insurer under the taxable insurance contract
  3. 3 Interpretation of section 72(1), (1A), and (7) FA 1994

Ratio Decidendi

The variable amounts ('Guarantee Premiums') charged by Pennine/PGL to customers were not charged in connection with the taxable insurance contract, nor received by any person on behalf of the insurer or by the insurer. Only the fixed premium paid to QANW and then to the insurer was relevant for IPT purposes. The appeal is allowed.

Court Disposition

appeal allowed

Orders

  • Appeal against IPT assessment allowed
  • Liberty to apply to Judge Walters QC sitting alone in relation to any resultant application in respect of costs