Airedale Chemical Company Limited – and – Revenue And Customs Commissioners

Citation:

[2025] UKUT 278 (TCC)

Judgment Date:

15 August 2025

Barrister:

JUDICIAL REVIEW – challenge to HMRC decisions made under the Disguised Remuneration Repayment Scheme – whether repayment eligibility conditions that HMRC had “no power to recover” or that the claimant had made “reasonable disclosure” of relevant loans met –quashing and mandatory orders refused