Meter Squared Ltd v Revenue and Customs (LATE APPEAL - Martland test applied) [2024] UKFTT 884 (TC) (01 October 2024)

Meter Squared Ltd v Revenue and Customs (LATE APPEAL - Martland test applied) [2024] UKFTT 884 (TC) (01 October 2024)

The Tribunal found that the Appellant's email of 15 October 2019 constituted a valid request for review for the periods 02/18 - 11/18, meaning those appeals were not out of time and could proceed. For other periods, the delay was serious and significant with no adequate explanation, and the balancing exercise...

Source-derived case information.

Citation
[2024] UKFTT 884
Parties
Appellant: Meter Squared Limited (in liquidation); Respondents: The Commissioners for His Majesty's Revenue and Customs
Jurisdiction
United Kingdom
Judgment Date
01 October 2024
Procedural Posture
VAT Late Appeal Application / First Tier Tribunal (tax Chamber) Application to Admit Late Appeal
Outcome
Application allowed in part; appeals for periods 02/18 - 11/18 admitted; application refused for other periods.
Legal Topics
VAT Assessments, Late Appeal, Martland Test, Statutory Time Limits, Review Request Validity
Tax Law VAT Assessments Late Appeal Martland Test Statutory Time Limits Review Request Validity

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Summary, issues, holding and outcome

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Parties

Meter Squared Limited (in liquidation)

Appellant

The Commissioners for His Majesty's Revenue and Customs

Respondents

Procedural Posture

VAT Late Appeal Application / First Tier Tribunal (tax Chamber) Application to Admit Late Appeal

  1. 1 Whether the appeal against VAT assessments for certain periods was brought out of time
  2. 2 Whether the Tribunal should admit a late appeal for the periods in question under the Martland test
  3. 3 Whether the Appellant's email constituted a valid request for review

Ratio Decidendi

The Tribunal found that the Appellant's email of 15 October 2019 constituted a valid request for review for the periods 02/18 - 11/18, meaning those appeals were not out of time and could proceed. For other periods, the delay was serious and significant with no adequate explanation, and the balancing exercise favored enforcing compliance with statutory time limits, so the late appeal was refused for those periods.

Court Disposition

Application allowed in part; appeals for periods 02/18 - 11/18 admitted; application refused for other periods.

Orders

  • Appeals for VAT assessments for periods 02/18 - 11/18 allowed to proceed, subject to directions for further and better particulars.
  • Application to admit late appeal for periods 08/15, 05/16, 11/16 - 11/17, and 02/19 refused.