In David Howick v HMRC [2022] TC8531, a director who neglected to ensure that a company paid its PAYE and NICs when he took over as its sole director was found not to have acted as a reasonable and prudent man would in the circumstances. His failure meant that HMRC was able to assess him personally for the company's NICs  debts.

Mr Howick appealed to the First Tier Tribunal (FTT).

The FTT considered whether the failure to pay HMRC was attributable to the Appellant’s neglect. Did he meet the standard to be expected of a reasonable and prudent man in those circumstances?

Mr Howick blamed his company's failures to pay the PAYE and NICs due were due to ‘the usual unpredictability of commercial life’.

The FTT found that:

The failure to pay HMRC was attributable to Mr Howick’s neglect, the appeal was dismissed.

Useful guides on this topic

Personal Liability Notices
A Personal Liability Notice (PLN) may be issued by HMRC in the event of a company's or LLP's failure to pay its tax debts or tax penalties to HMRC. A PLN will transfer the liability to pay the debt to one of its officers.

VAT: penalties
The VAT penalties regime allows a penalty to be assessed on a company director via a Personal Liability Notice (‘PLN’).

External links

David Howick v HMRC [2022] TC8531

 


Oak ad
Are you enjoying our content? 

Thousands of accountants and advisers and their clients use www.rossmartin.co.uk as their primary TAX resource.

Register with us now to receive our receive our FREE SME Topical Tax Update & newletter.