Supreme Court
Tower MCashback LLP 1 and another v Revenue and Customs Commissioners
[2011] UKSC 19
2011 Feb 21, 22;
May 11
Lord Hope of Craighead DPSC, Lord Rodger of Earlsferry, Lord Walker of Gestingthorpe, Lord Collins of Mapesbury, Lord Kerr of Tonaghmore, Lord Clarke of Stone-cum-Ebony, Lord Dyson JJSC
RevenueCorporation taxCapital allowancesTransactions carried out to obtain fiscal advantageLimited liability partnership entering into software licence agreementsConsideration for licences partially funded by non-recourse loans to members of partnershipLoans provided by software vendor through series of circular transactionsWhether loans expended on acquisition of software rightsWhether partnership entitled to first-year allowances Capital Allowances Act 2001 (c 2), s 45 (as amended by Finance Act 2003 (c 14), ss 165, 166)
RevenueCorporation taxSelf-assessmentClosure notice issued disallowing claimTaxpayer appealingRevenue raising issues not mentioned in closure noticeWhether revenue only able to rely on issues raised in closure notice Taxes Management Act 1970 (c 9) (as amended by Finance Act 1994 (c 9), ss 184, 185, 186, 189, 196, 199, Sch 19, General and Special Commissioners (Amendment of Enactments) Regulations 1994 (SI 1994/1813), reg 2, Schs 1, 2, Finance Act 1995 (c 4), s 104, Finance Act 1996 (c 8), s 123, Finance Act 1998 (c 36), s 117(3), Sch 19 and Finance Act 2001 (c 9), ss 88, 110, Schs 29, 33), ss 12AA, 12AB, 12AC, 28B, 31, 31A, 50

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