“Pursuant to the respected judge’s adjudication, it is regrettable the attached documents formulating the basis of Judge Brooks determination at para 8 of the Summary decision, were not sent to or were not received at an appropriate time by the Tribunal and HMRC. This is a request for a review following submission of the underlying records to displace the amendment to the return and setting aside the associated penalty. (Attached Audit Trail –05/04/2016 to05/04/2017 Dated24/06/2019 05:11:33 13 pages)”
“In order to justify the reception of fresh evidence …, three conditions mast be fulfilled: first, it must be shown that the evidence could not have been obtained with reasonable diligence for use at the trial: second, the evidence most be such that, if given, it would probably have an important influence on the result of the case, though it need not be decisive: thirdly, the evidence must be such as is presumably to be believed, or in other words, it must be apparently credible, though it need not be incontrovertible.”