“We wish to appeal against the detailed terms of the information notice issued on27 January 2020 by HMRC. It is our contention that not all the information stated within the notice is reasonably required for the checking of the tax returns.”
“In the context of a company, or even a self-employed business, it is usually relatively straightforward to identify statutory records. These will include a business[’s] bank accounts, invoices, purchase orders, till rolls etc.”
“The test that is to be applied is whether or not the items sought are ‘reasonably required’ for the purpose of checking the taxpayer’s tax position. It was submitted by counsel for the appellants that the dividing line as to what was reasonably required when it came to the provision of personal bank statements, as demonstrated in other relevant decisions, lay between those cases where the officer could show a reason to suspect under-assessment and those where the officer was simply on a ‘fishing expedition’. This proposition was not challenged by the Respondents and I found it to be a helpful summation.”
“Information can only be ‘reasonably required’ if it affects a person’s tax position but sometimes it is uncertain whether the information will affect the tax position until the information is obtained. Mr Khawar said that the key test is not whether, as a matter of fact, that information does change a person’s tax position, but if the information is reasonably required for checking the person’s tax position.”
“The absence of any authoritative consideration of the issue is no doubt due to the fact there is no appeal from a decision of the FTT in relation to information notices.”