Andrew Chappell v The Commissioners for HM Revenue and Customs: [2014] UKUT 0344 (TCC)

Upper Tribunal Tax and Chancery decision of Mr Justice Simon and Judge Sinfield on 28 July 2014.

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INCOME TAX 鈥� tax avoidance scheme 鈥� whether there was transfer of overseas securities and payment of manufactured overseas dividend when relevant statutory provisions construed purposively and transactions viewed realistically - no 鈥� whether annual payment not payable under deduction and retention of income tax was deductible for purposes of income tax - no 鈥� if payment deductible as payment of manufactured overseas dividends treated as annual payments within section 349(1) ICTA 1988 whether Section 3 ICTA 1988 restricts tax relief to higher rate 鈥� yes 鈥� appeal by Appellant dismissed and appeal by Respondents allowed.

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Published 1 December 2016