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England and Wales High Court (Administrative Court) Decisions |
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You are here: BAILII >> Databases >> England and Wales High Court (Administrative Court) Decisions >> Glint Pay Services Ltd, R (On the Application Of) v Commissioners for His Majesty's Revenue & Customs [2023] EWHC 1621 (Admin) (30 June 2023) URL: http://www.bailii.org/ew/cases/EWHC/Admin/2023/1621.html Cite as: [2023] EWHC 1621 (Admin) |
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KING'S BENCH DIVISION
ADMINISTRATIVE COURT
Strand, London, WC2A 2LL |
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B e f o r e :
____________________
THE KING on the application of GLINT PAY SERVICES LTD |
Claimant |
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- and - |
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THE COMMISSIONERS FOR HIS MAJESTY'S REVENUE & CUSTOMS |
Defendant |
____________________
ANDREW MACNAB (instructed by the Solicitor and General Counsel for HM Revenue and Customs) for the Defendant
Hearing date: 20 June 2023
____________________
Crown Copyright ©
SIR ROSS CRANSTON:
INTRODUCTION
BACKGROUND
Glint's contracts
Glint-client relationship
"Invest in Glint: the world's first multi-currency payments solution that gives instantaneous ownership of gold and the ability to use it as money digitally through an app and debit card."
Glint-StoneX contracts
Glint-Brink's contracts
The MOU
The MOU's terms
"3.1 Relief from VAT on the London Bullion and London Platinum and Palladium Markets is provided by the [TMO] which applies the zero rate of VAT to sales of goods ordinarily dealt with on the market…Together, the Terminal Markets Order and the Investment Gold Directive relieve nearly all transactions traded on the two markets from a positive rate of VAT. Whilst the Investment Gold Directive applies to gold of a specified quality, the TMO applies to goods ordinarily dealt with on a market."
"3.4 Where a Member retains physical control over a metal (i.e. it is stored within a Member's vault), any transactions undertaken have historically been treated as benefiting from reliefs available under the Terminal Markets Order. This has applied specifically to transactions between non-members. At paragraphs 4.3, we have set out that Members are within the supply chain in these transactions and therefore the relief continues to apply. It follows that relief under the Terminal Markets Order is in practice available when the metal is under the control of a Member, but not available when:
Metal is not under the control of a Member; and
Metal leaves the control of Members and is taken to use or consumption."
"Non-member Transactions
The TMO applies the zero rate to supplies between Members, or a Member and a non-member, of the LBMA. A transaction between two non-members in which the metal concerned is under the physical control of a Member will invariably include a Member, specifically a clearing member, to transfer the interest in the metal. Although the sale is agreed between two non-members that sale is assigned to enable clearing and settlement to take place. Therefore, the transactions are entered into between non-members and Members, and thus conditions set out in the TMO are met.
If there is no involvement of an LBMA Member then the relief cannot apply.
VAT Analysis
In order for relief under the TMO to apply, a member of the LBMA must be one of the parties to a transaction – a supply must be made by or to a member for the zero rate to apply. As the member is holding title to the metal then it is making a supply of that metal to the receiving party …"
Glint, the MOU and HMRC
THE LEGAL FRAMEWORK
VAT law and guidance
"This Group does not include a supply (a) between members of the London Bullion Market Association, or (b) by a member of that Association to a taxable person who is not a member or by such a person to a member."
"Supplies between taxable persons which but for Note 4(a) to Group 15 of Schedule 9 to the Act (exemption for investment gold) would have fallen within that Group are hereby zero rated."
Law of legitimate expectation
"47…There is a strong public interest in the imposition of taxation in accordance with the law, and so that no individual taxpayer, or group of taxpayers, is unfairly advantaged at the expense of other taxpayers. There is also a real public interest in the revenue making known the general approach which it will adopt, and the practice which it will normally follow, in specific areas … But there are likely to be few cases where a taxpayer can plausibly claim that a representation made in general material of this nature is so clear and unqualified that the taxpayer is entitled to rely on it and to be taxed otherwise than in accordance with the law."
GLINT'S GROUNDS OF CHALLENGE
Ground 1: legitimate expectation
Glint's case
Discussion
Ground 2: irrationality
CONCLUSION