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Contents

Official guidance
VAT Business/Non-Business Manual

VBNB70000 · Legal history

  • VBNB72050 · Cases about the business test
  • VBNB72200 · Cases about direct link between supplies and consideration
  • VBNB72300 · Cases about operating in a commercial market
  • VBNB72400 · Cases about section 94(2) activities
  • VBNB72500 · Cases about non-taxed transactions and apportionment
  • VBNB72600 · Cases about taxable persons with more than one activity
  • VBNB72700 · Cases about having a profit motive
  • VBNB72800 · Cases about disposal of private assets
  • VBNB72900 · Cases about the purchase or sale of shares for investment purposes
  • VBNB73500 · Cases about retrospective changes of method
  • VBNB74100 · Cases about office holders
  • VBNB74200 · Cases about disposal of assets
  • VBNB74400 · Cases about museums and galleries
  • VBNB74600 · Cases about boat and aircraft hire
  • VBNB75800 · Cases about jockey’s riding fees
  • VBNB75920 · Cases about clubs and associations
  • VBNB75940 · Cases about club members’ facilities or advantages
  • VBNB75960 · Cases about apportionment and valuation of membership supplies
  • VBNB75990 · Cases about wildlife trusts
  1. Legal history: contents
  2. Legal history: cases about section 94(2) activities

VBNB72400 | Legal history: cases about section 94(2) activities

From HM Revenue & Customs · VAT Business/Non-Business Manual

Eric Taylor Testimonial Match Committee VTD 139

Please note that the following material is not a full summary of the case - it merely highlights the principle referred to in the appropriate section of this manual.

Eric Taylor Testimonial Match Committee VTD 139 {#Eric_Taylor}

The Eric Taylor (deceased) Testimonial Match Committee arranged a one-off football match. To raise funds for the deceased’s family spectators were charged for admission to the ground.

The organisation of the match did not amount to a business activity in the ordinary sense of the word. However, the tribunal found that it was business for VAT purposes. This was by virtue of section 45(1)(d) of the Finance Act 1972, now section 94(2)(b) of the VAT Act 1994.

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