"... where a person has a reasonable excuse for not doing anything required to be done he shall be deemed not to have failed to do it unless the excuse ceased and after the excuse ceased he shall be deemed not to have failed to do it if he did it without unreasonable delay after the excuse had ceased."
"... this deferral was not tantamount to a refusal to pay tax, although it may have been thus interpreted, but rather an expression of my unwillingness to do so (a) while I had no guarantee of payments being correctly allocated and (b) whilst the issues of contested surcharges and interest remained unaddressed and unresolved ..."
"... just as "there are no provisions in the Taxes Acts appertaining to self assessment which permit the payment of tax ... to be deferred beyond the due and payable date", there are equally no provisions permitting (a) the repeated misallocation of tax payments and (b) the appalling catalogue of administrative ineptitude by Mr West’s predecessors which has given rise to this protracted dispute and which has caused untold distress to myself and my family. In this connection I shall be pursuing the case of compensation against HMRC in due course ..."
"... The surcharges were imposed because I had withheld the payment of tax in light of (a) Mrs O'Neill's failure to honour her repeated undertaking to cancel earlier erroneous surcharges, (b) because earlier payments had been made with the proviso that they should be allocated to tax due and not to the disputed surcharges and interest, although in fact they continue to be misallocated, and (c) because, despite agreeing to arrange their reallocation solely to tax, Mrs O'Neill failed to do so ... Mr West, supported by HMRC Appeals Unit, has, however, rejected my appeal against surcharges for the years 2005-06 to 2008-09 should be cancelled, despite the fact that during this period the position which gave rise to Mrs O'Neill's cancellation of surcharges for the earlier period remained the same ..."