In Hotel La Tour Ltd v HMRC [2021] TC08335, the First Tier Tribunal (FTT) found that the sale of a subsidiary was a means of fundraising that could be directly linked to future trading activities. This allowed the input VAT on associated professional fees to be reclaimed.

In 2017, Hotel La Tour Limited (HLT) sold the shares in its 100% subsidiary, Hotel La Tour Birmingham Limited (HLTB) and reclaimed the input VAT paid on the associated professional fees.

The FTT concluded that the issues for determination were:

The FTT allowed the appeal on the basis of a direct and immediate link between the sale of the shares and downstream taxable activities.

UPDATE: HMRC have been granted permission to appeal to the Upper Tribunal. Listed for hearing on 12, 13 or 14 June 2023.

Useful guides on this topic

Groups
What are the conditions for forming a VAT group? What rules apply once a VAT group is in place?

Transfer of a going concern (TOGC)
What is a TOGC? What conditions must be met? What are the consequences of a TOGC? What case law is there? 

Taking over a business (VAT traps)
If you start to run a similar business to one which operated from the same premises or if you take over an existing business you may need to consider VAT. This is even if the business you are taking over, or following, ceased trading or went bust.

How to appeal an HMRC decision (VAT)
Disagree with an HMRC decision? How to appeal, what type of decision can you appeal and what are your different options when you disagree with HMRC? What are the key steps in making an appeal?

External link

Hotel La Tour Ltd v HMRC [2021] TC08335

 


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