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England and Wales High Court (Chancery Division) Decisions |
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You are here: BAILII >> Databases >> England and Wales High Court (Chancery Division) Decisions >> HM Revenue & Customs v Sokoya [2008] EWHC 2132 (Ch) (23 June 2008) URL: http://www.bailii.org/ew/cases/EWHC/Ch/2008/2132.html Cite as: [2008] EWHC 2132 (Ch), [2008] STI 1641, [2008] STC 3332, [2008] BTC 635 |
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CHANCERY DIVISION
Strand London WC2A 2LL |
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B e f o r e :
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COMMISSIONERS FOR HER MAJESTY'S REVENUE & CUSTOMS | ||
Respondent | ||
- and - | ||
ADESINA OLUSEGUM SOKOYA | ||
Appellant |
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PO Box 1336 Kingston-Upon-Thames Surrey KT1 1QT
Tel No: 020 8974 7300 Fax No: 020 8974 7301
(Official Shorthand Writers to the Court)
Mr A. Sokoya appeared in person
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Crown Copyright ©
MR JUSTICE FLOYD:
(a) The appellant filed a tax return for 2004-2005 on 20 September 2005 showing income of £4,650 from employment with Divinus Providentia Corporation Limited, and no other income.(b) By notice to the appellant dated 22 May 2006, an officer stated his intention of inquiring into the appellant's tax return for 2004-2005 and made an informal request for certain information.
(c) Not having received the information, the officer issued a notice under section 19A of the Taxes Management Act 1970 on 17 July 2006 requiring the following information within 30 days:
"All bank and building society statements for the year to 5 April 2005 in respect of all accounts that you held or on which you were named; all statements for all credit, debit or store cards that you held for the year to 5 April 2005; all documents relating to the same of property that took place during the year; all documents relating to the mortgage, including mortgage application, which was in existence at the date of sale. Please also let me have your capital gains tax computation and say why this was not included in your tax return, and a statement showing all your income for the year and all of your outgoings, i.e. accommodation, costs, food, entertainment, et cetera, for the year."
"The question is whether it appears to me that the production of the document or the furnishing of the accounts or particulars was reasonably required by the officer for the purpose of determining whether and, if so, the extent to which the return is incorrect or incomplete. Clearly the enquiry need not be limited to the entries in a return because the officer can require information to determine whether the return is incomplete. I can see nothing unreasonable in any of the questions. The Appellant says that he has ordered his affairs so as not to pay tax but has not said how. I wondered if, for example, it was because he was not domiciled, but no such claim is made in return. Since his income cannot support his expenditure it seems entirely reasonable to me that the Revenue should [seek] to check his taxable income. The questions are reasonably required for this purpose."