“The Tribunal decided that the Appellant’s return for the year ended5 April 2010 was filed late, that the Appellant did not have a reasonable excuse which continued throughout the period of default, and that the penalty of£100 was in the correct amount. Accordingly, the Tribunal dismissed the appeal.”
“I was told that a fine would be sent out automatically but I just needed to let you know that this was not due to me, but due to a backlog at HMRC and the fine would be cancelled. I’d be grateful if you could please confirm that this is the case. I have attempted to call 3 times but each time have been put on hold for over 30 minutes and as I don’t have a landline this is extremely expensive. As the situation currently stands I now have managed to get a Gateway ID number but I am still waiting for a password so I can finally submit my application. I’d be grateful if you could also let me know what this password is, or how long I should expect to wait for it.”
“This reasonable excuse must be an exceptional event beyond your control, which continued for the 30 days beyond the receipt of the penalty notice. We are unlikely to agree you were prevented from filing your tax return on time or appealing against the penalty within a 30 day period if, during the exceptional event, you were able to manage the rest of your private and business affairs.”
“I was told that a fine would be sent out automatically but I just needed to notify HMRC that this was not due to me, but due to a backlog at HMRC and the fine would be cancelled.”
“(8) On an appeal against the determination under section 100 of this Act of a penalty under subsection (2) or (4) above that is notified to the tribunal, neither section 50(6) to (8) nor section 100B(2) of this Act shall apply but the tribunal may— (a) if it appears that, throughout the period of default, the taxpayer had a reasonable excuse for not delivering the return, set the determination aside; or (b) if it does not so appear, confirm the determination.”
“(2) For the purposes of this Act, a person shall be deemed not to have failed to do anything required to be done within a limited time if he did it within such further time, if any, as the Board or the tribunal or officer concerned may have allowed; and where a person had 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.”
“late receipt of your online Activation Code, User ID or password even though you asked for them before the tax return deadline”