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Official guidance
VAT Supply and Consideration

VATSC11130 · Supply: Single and multiple supplies: Precedent cases

  • VATSC11131 · Mander Laundries Limited (BIRM/73/31)
  • VATSC11132 · British Airways (Court of Appeal 1990 STC 643)
  • VATSC11133 · Faaborg-Gelting Linien A/S (C-231/94)
  • VATSC11134 · Madgett and Baldwin (C-308/96 & C-94/97)
  • VATSC11135 · Card Protection Plan (C-349/96)
  • VATSC11136 · British Telecommunications plc (House of Lords 1999 STC 758)
  • VATSC11137 · British Sky Broadcasting Group plc (LON/98/889)
  • VATSC11138 · MD Foods plc (LON/00/899) & United Biscuits (UK) Ltd (Court of Session [1992] STC325)
  • VATSC11139 · Sea Containers Services Ltd (High Court 2000 STC 82) & Durham River Trips Limited (MAN/99/876)
  • VATSC11140 · FDR Limited (Court of Appeal 2000 STC 672)
  • VATSC11141 · Dr Beynon (2004 UKHL 53)
  • VATSC11142 · Levob Verzekeringen BV (C-41/04)
  • VATSC11143 · Telewest (Court of Appeal [2005] STC 481)
  • VATSC11144 · College of Estate Management (2005 UKHL 62)
  • VATSC11145 · Aktiebolaget NN (C-111/05)
  • VATSC11146 · Weight Watchers (UK) Ltd (Court of Appeal [2008] STC 2313) & David Baxendale (Court of Appeal [2009] STC 2578)
  • VATSC11147 · Part Service Srl (C-425/06)
  • VATSC11148 · Everything Everywhere (C-276/09)
  • VATSC11149 · RLRE Tellmer Property sro (C-572/07)
  • VATSC11150 · The Lower Mill Estate Limited (Upper Tier Tribunal FTC 10/2009)
  • VATSC11151 · Purple Parking (C-117/11)
  • VATSC11152 · Deutsche Bank (C-44/11)
  • VATSC11153 · Goals Soccer Centres ( [2012] UKFTT 576)
  • VATSC11154 · The Honourable Society of Middle Temple (UKUT 0250)
  • VATSC11155 · BGZ Leasing sp z.o.o (C-224/11)
  1. Supply: Single and multiple supplies: Precedent cases: Contents
  2. Supply: Single and multiple supplies: Precedent cases: Mander Laundries Limited (BIRM/73/31)

VATSC11131 | Supply: Single and multiple supplies: Precedent cases: Mander Laundries Limited (BIRM/73/31)

From HM Revenue & Customs · VAT Supply and Consideration

This was one of the first cases to consider single/multiple supplies and some liabilities have since changed. The trader argued the launderette supplies were multiple supplies of mixed liabilities - use of a washing machine and salt used for softening water was a standard-rated supply of treated water. Oil or gas used for heating and the supply of electricity were zero-rated.

The Tribunal concluded there was a single supply of a service which was a licence to use the washing machine to clean clothes. The judgement said ‘that what happens is that the customer goes to the launderette to wash dirty clothes in a washing machine. What is obtained at the end of the transaction is cleaned clothes and that this is the provision of a service of which the water, gas and electricity form an integral part’.

The supplies of electricity, gas and water etc formed an integral part of the service but were subordinate to it. The electricity, gas and water were actually supplied to the launderette, not to the customer, and the launderette was not selling these components but merely providing for their use.

Although not usually quoted today, this original decision pointed the way to the modern approach of considering the customer’s aim and looking at the economic reality of the situation.

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