Burden of proof on tax authority in penalty cases
By way of a reminder to businesses that the burden of proof in penalty cases is on HMRC, not the taxpayer, the First Tier Tribunal (FTT) has quashed a penalty for belated VAT registration, HMRC having failed to furnish adequate evidence of default (Mrs Paula Thorne v Revenue & Customs [2012] UKFTT 529 (TC)).
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