Orchid Properties (a partnership) v Revenue & Customs [2010] UKFTT 329 (TC) (13 July 20)

Orchid Properties (a partnership) v Revenue & Customs [2010] UKFTT 329 (TC) (13 July 20)

The subject matter of the enquiry and conclusion in the closure notice was the purchase and sale of the property; HMRC's arguments regarding taper relief are within the scope of the appeal, and the tribunal has jurisdiction to hear them.

Source-derived case information.

Citation
[2010] UKFTT 329
Parties
Appellant: Orchid Properties (a partnership); Respondent: The Commissioners for Her Majesty’s Revenue and Customs
Jurisdiction
United Kingdom
Procedural Posture
Application to Strike Out Part of HMRC Case / Interlocutory Application
Outcome
application refused
Legal Topics
Closure Notice, Capital Gains Tax, Taper Relief, Tribunal Jurisdiction
Tax Law Closure Notice Capital Gains Tax Taper Relief Tribunal Jurisdiction

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Parties

Orchid Properties (a partnership)

Appellant

The Commissioners for Her Majesty’s Revenue and Customs

Respondent

Procedural Posture

Application to Strike Out Part of HMRC Case / Interlocutory Application

  1. 1 Whether HMRC can argue for restriction of taper relief from capital gains tax when not expressly stated in closure notice
  2. 2 Whether tribunal has jurisdiction to hear HMRC's alternative argument on taper relief

Ratio Decidendi

The subject matter of the enquiry and conclusion in the closure notice was the purchase and sale of the property; HMRC's arguments regarding taper relief are within the scope of the appeal, and the tribunal has jurisdiction to hear them.

Court Disposition

application refused

Orders

  • No order for costs
  • Parties invited to agree directions for future conduct of appeal