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BN66 - Time to fight back (Chapter 3)

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    Originally posted by silver_lining View Post
    This chap does look very good on paper.... treasury and EU law, so that should help lots....

    shame he is not a tax expert also! I might even consider pre-ordering some champers
    Is bolly tax deductible when we win then?
    Join the No To Retro Tax Campaign Now
    "Tax evasion is easy: it involves breaking the law. By tax avoidance OECD means unacceptable avoidance ... This can be contrasted with acceptable tax planning. What is critical is transparency" - Donald Johnston, Secretary-General, OECD

    Comment


      Originally posted by Lazylobster View Post
      Is this the same QC / Judge that PWC was in front of ?

      LL
      No. They had LJ Stanley Brunton who is actually in Court 3 tomorrow. I thought he was very sharp. Also part of his judgement was deferred pending the decision on our case.
      Join the No To Retro Tax Campaign Now
      "Tax evasion is easy: it involves breaking the law. By tax avoidance OECD means unacceptable avoidance ... This can be contrasted with acceptable tax planning. What is critical is transparency" - Donald Johnston, Secretary-General, OECD

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        Originally posted by Emigre View Post
        No. They had LJ Stanley Brunton who is actually in Court 3 tomorrow. I thought he was very sharp. Also part of his judgement was deferred pending the decision on our case.

        Kenneth Parker appears to have represented Customs and Excise on a few occasions which doesn't give me the best vibes

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          Originally posted by robinhood View Post
          Kenneth Parker appears to have represented Customs and Excise on a few occasions which doesn't give me the best vibes
          He's been made up to be an Appeal Court judge with effect from October this year. He's not going to want to get anything wrong or contentious just now. Lets hope its easier to let it go to a hearing than reject it!
          Join the No To Retro Tax Campaign Now
          "Tax evasion is easy: it involves breaking the law. By tax avoidance OECD means unacceptable avoidance ... This can be contrasted with acceptable tax planning. What is critical is transparency" - Donald Johnston, Secretary-General, OECD

          Comment


            Originally posted by Emigre View Post
            No. They had LJ Stanley Brunton who is actually in Court 3 tomorrow. I thought he was very sharp. Also part of his judgement was deferred pending the decision on our case.
            Thats is very disappointing, I was rather hoping LJ Burton was going to hear this, main reason being he initially agreed on the fact SA 58 seemed incompatible.

            new terroritory tomorrow.....

            So do we conclude we will not get a result tomorrow, given LJ Burton deferred his judgement and I assume hw would need/ like to debate with KC; legal eagles out there?
            - SL -

            Comment


              Kenneth Parker is Court 63 - I take it we are The Queen on the application of Hankinson v HM Revenue & Customs???

              Originally posted by Emigre View Post
              Our hearing appears to be 3rd in Court 2 before Kenneth Parker QC.

              http://www.hmcourts-service.gov.uk/cms/list_admin.htm

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                Originally posted by Emigre View Post
                Is bolly tax deductible when we win then?
                isn't everything tax deductible with the right professional advice....
                - SL -

                Comment


                  Originally posted by silver_lining View Post
                  Thats is very disappointing, I was rather hoping LJ Burton was going to hear this, main reason being he initially agreed on the fact SA 58 seemed incompatible.

                  new terroritory tomorrow.....

                  So do we conclude we will not get a result tomorrow, given LJ Burton deferred his judgement and I assume hw would need/ like to debate with KC; legal eagles out there?
                  Can't answer that one. My understanding is that the pre-hearing skeleton arguments provide references to all the legal authorities that either side wants to draw on so that the judge can read them up in advance. Also, I understood that the principle of the Court was to get a judgement out on the day, provided of course that each side has managed to make all the arguments and responses they wish. We could have a "part hearing" where it carries over to another day, or even be deferred if some of the cases ahead of us overrun.
                  Join the No To Retro Tax Campaign Now
                  "Tax evasion is easy: it involves breaking the law. By tax avoidance OECD means unacceptable avoidance ... This can be contrasted with acceptable tax planning. What is critical is transparency" - Donald Johnston, Secretary-General, OECD

                  Comment


                    Hearing now listed for 2pm

                    COURT 63
                    Before KENNETH PARKER QC
                    (Sitting as a Deputy High Court Judge)
                    Tuesday 16 June, 2009

                    At 2 o'clock
                    Applications for Permission
                    CO/10012/2008 The Queen on the application of Huitson v HM Revenue & Customs


                    http://www.hmcourts-service.gov.uk/cms/list_admin.htm

                    I will be updating the forum as and when I receive updates from one of the guys present.

                    We probably won't get a result until after 5pm.

                    Comment


                      Ordered myself....

                      ... a new F5 key.

                      Comment

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