19236
DEFAULT SURCHARGES – three reasonable excuses for separate periods involving illness of accountant, insufficient funds and sudden absence of chief executive overseas – appeal dismissed – VATA 1994 s59(7)(b) and s71(1)(a) & (b)
LONDON TRIBUNAL CENTRE
SILVER SOFTWARE CONSULTANTS LIMITED |
Appellant | |
and | ||
HER MAJESTY'S REVENUE AND CUSTOMS | Respondents | |
Tribunal : Rodney P Huggins (Chairman)
Caroline S de Albuquerque
Sitting in public in London on 3 August 2005
Mr B A Singh Accountant for the Appellant.
Mr Rowell of the Office of the Solicitor for Revenue and Customs for the Respondents.
© CROWN COPYRIGHT 2005
DECISION
The appeal
The legislation
"(a) an insufficiency of funds to pay any VAT due is not a reasonable excuse; and
(b) where reliance is placed on any another person to perform any task, neither the fact of that reliance nor any dilatoriness or inaccuracy on the part of the person relied upon is a reasonable excuse.
The issue
The evidence
For Revenue and Customs, Mr Rowell produced a bundle of documents but did not call any witnesses.
The facts
The period to 31 August 2003
The period to 30 November 2003
" … The client has in the past reliably assured us of payment dates and credited our account on the date specified. In addition, the date our client specified was in line with the pattern of previous payment dates. This is supported by the payments received from the client as per the attached bank statements. Hence we planned our cash flow on that basis and had no reason to doubt our client. Unfortunately, on this one occasion our client made the payment on 2nd February 2004. We only became aware our client was going to be late when the payment was not credited to our account as promised. Thus we did not have sufficient time to make alternative arrangements to ensure our payment to Customs and Excise was not delayed. You will note that our VAT return was filed on time."
The period to 29 February 2004
"We have recently prepared our above named client's tax return for the quarter ended 5 April 2004.
The return has been sent to him for his approval and signature but unfortunately, we understand that he has had to rush off to India and as such will not be in a position to sign and send the return to you with the cheque.
We understand that he will be returning to the country on 13th April and will arrange to forward the return and the cheque duly signed as soon as possible after that date."
A copy of the unsigned VAT return was sent to the respondents by JSP on 30 March 2004.
Correspondence with the Respondents
The arguments for the Appellant
- Illness : where the person normally responsible for completing the VAT return is unable to do so because of illness.
- Unexpected cash crisis : where funds are unavailable to pay your tax due following the … sudden non-payment by a normally reliable customer.
These examples applied to periods 8/03 and 11/03.
The arguments of the Respondents
Reasons for decision
08/03 period
11/03 period
02/04 period
Decision
Rodney P Huggins
Chairman
Release date: 23 August 2005
LON/04/2322