This thread I will use and invite contributions to, for snippets of information that support the taxpayer against the crushing weight of HMRC.
The idea is to provide some counterbalance to the seemingly unending doom and gloom.
A starter for 10.
The decision of the Upper Tribunal in David Stephen Sanderson v HMRC [2013] UKUT 623 (TC) included these remarkable words:
“There is no statutory provision imposing an obligation on a taxpayer to tell HMRC about something in a filed return that he subsequently finds to be erroneous. The most that can be said is that a failure to correct an error can potentially affect a taxpayer’s exposure to penalties (see TMA 1970, s 95 and s 97(1)).”
The idea is to provide some counterbalance to the seemingly unending doom and gloom.
A starter for 10.
The decision of the Upper Tribunal in David Stephen Sanderson v HMRC [2013] UKUT 623 (TC) included these remarkable words:
“There is no statutory provision imposing an obligation on a taxpayer to tell HMRC about something in a filed return that he subsequently finds to be erroneous. The most that can be said is that a failure to correct an error can potentially affect a taxpayer’s exposure to penalties (see TMA 1970, s 95 and s 97(1)).”
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