In HMRC v Comtek Network Systems (UK) Ltd [2021] UT 008, the Upper Tribunal (UT) allowed HMRC’s appeal against the First Tier Tribunal (FTT) decision allowing an appeal against Follower Notice (FN) penalties.

HMRC can issue a Follower Notice (FN) where they consider that there is a final judicial ruling that is determinative of a dispute between HMRC and a taxpayer in respect of a tax advantage.

Where an FN is issued, the taxpayer must take corrective action and accept that they do not have a claim for a tax advantage. HMRC can charge penalties of up to 50% of the tax in dispute if corrective action is not taken by a 90-day deadline.

The taxpayer can only resist a penalty if it can establish that it was 'reasonable in all the circumstances' not to take the necessary corrective action.

The FTT allowed the appeal finding:

HMRC appealed to the UT who allowed the appeal finding:

Useful guides on this topic

Accelerated Payments & Follower Notices
What action is required? What are the penalties for non-compliance? Is there a right to appeal?

SDLT: Amending returns
How do I amend an SDLT return?

External links

HMRC v Comtek Network Systems (UK) Ltd [2021] UT 008 (UK) Ltd [2021] UT 008

Crest Nicholson (Waiscott) and others v HMRC [2017] UKFTT 0136(TC)


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