In Curzon Capital Ltd v HMRC [2019] TC 6949 the FTT found that although the company was involved in notifiable tax avoidance schemes it was not the promoter.

The tax scheme was a varient of a Disguised Remuneration contractor loan scheme.

HMRC brought the case for an order that the arrangements were notifiable arrangements within the scope of Finance Act 2004 s306, commonly known as DOTAS (disclosure of tax avoidance scheme).

The tribunal found that the scheme was DOTAS notifable.

It also found that:

The company was not a scheme Promoter: the thing it was administering happened to be tax avoidance arrangements but that did not change this fact.

 

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Curzon Capital Ltd [2019] TC 6949