![]() |
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] [DONATE] | |||||||||
First-tier Tribunal (Tax) |
||||||||||
PLEASE SUPPORT BAILII & FREE ACCESS TO LAW
To maintain its current level of service, BAILII urgently needs the support of its users.
Since you use the site, please consider making a donation to celebrate BAILII's 25 years of providing free access to law. No contribution is too small. If every visitor this month gives just £5, it will have a significant impact on BAILII's ability to continue providing this vital service.
Thank you for your support! | ||||||||||
You are here: BAILII >> Databases >> First-tier Tribunal (Tax) >> Mr Karl French v Revenue & Customs (CUSTOMS AND EXCISE CIVIL EVASION PENALTY) [2021] UKFTT 401 (TC) (01 November 2021) URL: https://www.bailii.org/uk/cases/UKFTT/TC/2021/TC08313.html Cite as: [2021] UKFTT 401 (TC) |
[New search] [View without highlighting] [Printable PDF version] [Help]
Decision Number: | TC 08313 |
Appellant: | MR KARL FRENCH |
Respondent: | Her Majesty's Revenue & Customs |
Chairmen / Special Commissioners: |
G Noel BARRETT |
Date Of Decision: | 01/11/2021 |
Main Category: | PROCEDURE |
Main Subcategory: | Other |
Notes: | CUSTOMS AND EXCISE CIVIL EVASION PENALTY - Finance Act 1994 section 8 and the Finance Act 2003 section 25(1) -“Was the Appellant dishonest - yes - Were the penalties and deductions correctly calculated - Yes -“Reasonable Excuse or Special Circumstances - No - APPEAL DISMISSED |