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Official guidance
VAT Fraud

VATF90000 · Litigation

  • VATF91000 · Who is responsible for VAT fraud civil litigation?
  • VATF92000 · What to do when a taxable person appeals
  • VATF93000 · Additional assistance
  • VATF94000 · What is the standard of proof and where is the burden of proof in civil litigation cases?
  1. Litigation: Contents
  2. Litigation: What to do when a taxable person appeals

VATF92000 | Litigation: What to do when a taxable person appeals

From HM Revenue & Customs · VAT Fraud

When a taxable person appeals against a decision to deny their entitlement to the right to deduct input tax using the Kittel principle (VATF50000), you should contact the SNCF Litigation team in Solicitor’s Office immediately.

When a taxable person appeals against a decision to assess for input or output tax because of VAT fraud other than the Kittel principle (VATF40000) you should contact the (This content has been withheld because of exemptions in the Freedom of Information Act 2000).

You should also read the Appeals, Reviews and Tribunals Guidance (ARTG).

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