UK Luxury Heights Ltd v HMRC [2026] UKFTT 796 (TC)

Citation:

[2026] UKFTT 796 (TC)

Judgment Date:

28 May 2026

The FTT refused the Appellant’s application for disclosure in its entirety and struck out the Appellant’s ground of appeal against a Construction Industry Scheme (CIS) determination insofar as it relied on Regulation 9(4) condition B of the Income Tax (Construction Industry Scheme) Regulations 2005, following the Court of Appeal in Beech Developments v HMRC. The decision reinforces Beech on the appeal/judicial review boundary in CIS condition B disputes and confirms that disclosure is confined to issues the Tribunal is empowered to determine.

Christopher Vallis appeared for the successful Respondents (HMRC). For further details, please view the judgment:

UK Luxury Heights Ltd v Revenue and Customs (Application for disclosure – jurisdiction – CIS – Reg 9(4) condition B – Sch 55 penalties – relevance – application refused – grounds struck out) [2026] UKFTT 796 (TC) (Hea On: 29 April 2026)