Lefort v Revenue and Customs (INCOME TAX - Pensions - registered pension scheme - revocation of Fixed Protection) [2024] UKFTT 926 (TC) (17 October 2024)

Lefort v Revenue and Customs (INCOME TAX - Pensions - registered pension scheme - revocation of Fixed Protection) [2024] UKFTT 926 (TC) (17 October 2024)

A relevant contribution was paid by the Appellant's former employer after 5 April 2014, constituting a protection-cessation event under Schedule 22 Finance Act 2013. HMRC revoked the Fixed Protection 2014 certificate in accordance with regulation 11 of the FP 2014 Regulations. The Tribunal has no jurisdiction to...

Source-derived case information.

Citation
[2024] UKFTT 926
Parties
Appellant: Steven Anthony Lefort; Respondents: The Commissioners for His Majesty's Revenue and Customs
Jurisdiction
United Kingdom
Judgment Date
17 October 2024
Procedural Posture
Income Tax Appeal / Final Judgment After Substantive Hearing
Outcome
Appeal dismissed
Legal Topics
Lifetime Allowance, Fixed Protection, Registered Pension Schemes, Revocation of Protection, Doctrine of Mistake, Rescission, Tribunal Jurisdiction
Tax Law Pensions Law Lifetime Allowance Fixed Protection Registered Pension Schemes Revocation of Protection Doctrine of Mistake Rescission +1 more

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Parties

Steven Anthony Lefort

Appellant

The Commissioners for His Majesty's Revenue and Customs

Respondents

Procedural Posture

Income Tax Appeal / Final Judgment After Substantive Hearing

  1. 1 Whether HMRC correctly revoked the Appellant's Fixed Protection 2014 certificate under regulation 11 of the FP 2014 Regulations
  2. 2 Whether a protection-cessation event occurred under paragraph 1(3) of Schedule 22 Finance Act 2013
  3. 3 Whether the Tribunal has jurisdiction to grant rescission or consider HMRC's discretion

Ratio Decidendi

A relevant contribution was paid by the Appellant's former employer after 5 April 2014, constituting a protection-cessation event under Schedule 22 Finance Act 2013. HMRC revoked the Fixed Protection 2014 certificate in accordance with regulation 11 of the FP 2014 Regulations. The Tribunal has no jurisdiction to grant rescission or review HMRC's discretion. Appeal dismissed.

Court Disposition

Appeal dismissed

Orders

  • HMRC's revocation of Fixed Protection 2014 certificate upheld
  • No order for rescission or equitable relief