"In pursuance of powers unders 73(2) VAT Act 1994 an assessment has been made for the total sum of£35,853.00 The assessment relates to the tax period ending31 October 1999 being the tax period in which your voluntary disclosure (dated20 October 1999 ) was received. It consists of the following amounts: Original return(s) Period 10/96£ 7,020.00 Due to C&E Period 10/97£28,833.00 Due to C&E£35,853.00 Total amount due to C&E"
"In any case where, for any prescribed accounting period, there has been paid or credited to any person- (a) as being a repayment or refund of VAT, or (b) as being due to him as VAT credit, an amount which ought not to have been so paid or credited had the facts been known or been as they later turn out to be, the Commissioners may assess that amount as being VAT due from him for that period and notify it to him accordingly "
"In my judgment the phrase must be construed in its context in para 4(2) and against the system by which this tax is administered"
"Therefore as a matter of practicality and good sense any limitation period to run against the Commissioners would not naturally be expected to run earlier than the date upon which they first receive notice by way of account " and "