S2 Ep2: Judicial review in tax cases procedure substance and practical impact episode artwork

EPISODE · Dec 18, 2025 · 50 MIN

S2 Ep2: Judicial review in tax cases procedure substance and practical impact

from Pump Court Tax Chat

David Ewart KC and Laura Ruxandu look at judicial review in relation to tax cases from a procedural as well as substantive perspective.when you can bring judicial review in a tax case.what to do if you have alternative remedies.the jurisdiction of the administrative court.procedure for judicial review.1: 13 The three broad areas in which you can bring judicial review in tax cases.3:19 Area 1: Extra-statutory rulings - where HMRC resile on an earlier representation personal to the taxpayer. These claims cannot be brought in the tax tribunal. Whilst most of the case law is won by the HMRC, equally there are a lot of cases in which the HMRC accept the taxpayer's challenge.10:49 Area 2: Where the tax payer has read and relied on a general statement in a published document/statement.20:53 Area 3: Procedural errors- breach of natural justice, applications for disclosure.26:42 Judicial review should be viewed as a last resort. It is a residual remedy and is not available if alternative remedies are available.26:56 The jurisdiction of the administrative court to hear public law arguments such as judicial review.36:00 Procedure for judicial review. You need to apply for permission. Differences to the Tribunal eg time limits, pre-action protocol. Very important to get early professional advice and evidence to cover the application as well as judicial review (if you get permission).44:52 Increasing role of Upper Tribunal.47:41 Difference of appeals to appeals in the Tribunal.48:00 Strategic importance of threatening judicial review.CasesR (Hawarth) v HMRC [2021] UKSC 25R (Locke) v HMRC [2019] EWCA Civ 1909R (Refinitiv UK Holdings Ltd) & Anor v HMRC [2023] UKUT 00257 (TCC)R (Airline Placement Ltd) v HMRC [2023] EWHC 1191 (Admin)Murphy & Linnett v HMRC [2023] EWCA Civ 497R (Aozora GMAC Investment Ltd) v HMRC [2019] EWCA Civ 1643R (Rettig Heating Group Ltd) v HMRC [2025] UKUT 143 (TCC)R (Archer) v HMRC [2017] EWHC 296 (Admin)Zeman v HMRC [2021] UKUT 182 (TCC)Harrison v HMRC [2023] UKUT 00038Caerdav Ltd v HMRC [2023] UKUT 00179 (TCC)Reed Employment v HMRC [2015] EWCA Civ 805MCM v HMRCGlencore v HMRC [2017] EWCA Civ 1716Legislations50 Taxes Management ActProducer: Peter ShevlinA pod60 production for Pump Court Tax Chambers

Episode metadata supplied by the publisher feed · Published Dec 18, 2025

Embed this episode

NOW PLAYING

S2 Ep2: Judicial review in tax cases procedure substance and practical impact

0:00 50:49

No transcript for this episode yet

We transcribe on demand. Request one and we'll notify you when it's ready — usually under 10 minutes.

No similar episodes found.

Frequently Asked Questions

How long is this episode of Pump Court Tax Chat?

This episode is 50 minutes long.

When was this Pump Court Tax Chat episode published?

This episode was published on December 18, 2025.

Can I download this Pump Court Tax Chat episode?

Yes. Use the download control on the episode player to save the publisher-provided media file.
URL copied to clipboard!