BAILII is celebrating 24 years of free online access to the law! Would you consider making a contribution?
No donation is too small. If every visitor before 31 December gives just £1, it will have a significant impact on BAILII's ability to continue providing free access to the law.
Thank you very much for your support!
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] | ||
United Kingdom VAT & Duties Tribunals Decisions |
||
You are here: BAILII >> Databases >> United Kingdom VAT & Duties Tribunals Decisions >> Mango Personnel Ltd v Revenue & Customs [2006] UKVAT V19862 (25 October 2006) URL: http://www.bailii.org/uk/cases/UKVAT/2006/V19862.html Cite as: [2006] UKVAT V19862 |
[New search] [Printable RTF version] [Help]
19862
VAT – PENALTIES - default surcharge - promise by bank manager to make payment of VAT in time although taxpayer's bank account would become overdrawn beyond agreed limit - taxpayer relied upon promise - payment made two days late - taxpayer having reasonable excuse for believing payment would be made in time - appeal allowed
LONDON TRIBUNAL CENTRE
MANGO PERSONNEL LTD Appellant
- and –
THE COMMISSIONERS FOR HER MAJESTY'S REVENUE & CUSTOMS Respondents
Tribunal: MICHAEL JOHNSON (Chairman)
Sitting in Exeter on 5 October 2006
Peter Collier, husband of Nicky Dunn, managing director of the Appellant for the Appellant
Pauline Crinnion, of the Solicitor's office of HM Revenue and Customs for the Respondents
"In relation to the payment due on 12 December, I made the decision not to pay the direct debit and instead send the funds required by CHAPS on 14 December 2005. Under the bank's payment rules, the direct debit due on 12 December 2005 would not have been paid and as the previous payment was late I did not want the customer record affected again, so thought that a CHAPS payment would arrive at the VAT office in time to avoid any late payment issues."
'I was prepared to pay the money due from the Appellant to HMRC. I knew that the direct debit would not be paid, because of the bank's payment rules, but instead I effected payment in a way that I assumed would do just as well, and that would not leave the Appellant in trouble with HMRC for having made a late payment.'
LON/2006/0208