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HMRC Tax Dispute Case Law Round-Up with Grant Thornton

Level
Update: Requires no prior subject knowledge
CPD
1.25 hours
Viewership
Access for entire organisation
HMRC Tax Dispute Case Law Round-Up with Grant Thornton

Available to view from 14 Mar 2025

With a SmartPlan £99

With a Season Ticket £198

Standard price £396

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Introduction

When handling HMRC enquiries and disclosures it is important to be aware of relevant case law so you can advise clients on the years which the dispute should cover and the penalties that HMRC is able to levy.

Presented by David Francis and Louisa Beciri of Grant Thornton, this webinar will provide you with an invaluable round-up of recent tax dispute case law.

The content of this webinar will also be useful for negotiations with HMRC and ensuring the correct position is arrived at on behalf of your client.

What You Will Learn

This webinar will cover the following:

  • Case law relating to:
    • HMRC’s assessing time limits, including discovery powers
    • The test for whether reasonable excuse applies to a taxpayer’s behaviour
    • What constitutes deliberate behaviour by a taxpayer
    • The interaction between reliance on an adviser and a taxpayer’s penalty position

    This pre-recorded webinar will be available to view from Friday 14th March 2025

    Alternatively, you can gain access to this webinar and 1,700+ others via the MBL Webinar Subscription. Please email webinarsubscription@mblseminars.com for more details.

HMRC Tax Dispute Case Law Round-Up with Grant Thornton