Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Debt Management and Banking Manual

DMBM678210 · Summary Proceedings (Sc): Small claims - answering defences

  • DMBM678220 · Introduction to common defences
  • DMBM678230 · Answering a defence of 'cannot pay'
  • DMBM678240 · Defender claims 'the tax has already been paid'
  • DMBM678250 · Defence of 'repayment/set off due'
  • DMBM678260 · Defence of 'have paid share of partnership liability'
  • DMBM678270 · Defence which is irrelevant to the claim
  • DMBM678280 · Defences and 'finality principles'
  • DMBM678290 · Defence that notice of assessment was not received
  • DMBM678300 · Defence that further allowances are due
  • DMBM678310 · Defence that appeal was not determined by agreement
  • DMBM678320 · Defence that Inspector was unfair/biased/fraudulent
  • DMBM678330 · Defence that commissioners were unfair or would not listen
  • DMBM678340 · Interest disputed
  1. Summary Proceedings (Sc): Small claims - answering defences: Contents
  2. Summary Proceedings (Sc): Small claims - answering defences: Defence that commissioners were unfair or would not listen

DMBM678330 | Summary Proceedings (Sc): Small claims - answering defences: Defence that commissioners were unfair or would not listen

From HM Revenue & Customs · Debt Management and Banking Manual

Some content of this manual is being considered for archiving. If there is content you use regularly, please email [email protected] to let us know as soon as possible.

If the defender submits a defence on the grounds that the commissioners were unfair or would not listen this usually means that the taxpayer could not satisfy the commissioners that the assessment should be reduced (Section 50(6) TMA 1970).

You should inform the court that

  • if the defender was dissatisfied with the commissioners’ determination he should have demanded a case stated under Section 56 TMA 1970 (although the tax remains payable)

  • having failed to do so he cannot now raise such matters which cannot affect the determination that is final (Section 46(2) TMA 1970

You should

  • produce certificates of debt in court to enhance your claim that the debt is due and unpaid and

  • ask the court to grant decree for the full sum plus outlays (DMBM675100).

Where the court is unwilling to grant decree you should

  • seek a continuation (DMBM675100) and

  • refer your papers together with a full report of the hearing to HMRC Solicitors Office (1st Floor Clarendon House 114-116 George Street Edinburgh EH2 4LH tel. (This content has been withheld because of exemptions in the Freedom of Information Act 2000)immediately.

PreviousNext
PrivacyTerms