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HMRC-set to appeal


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Andrudolph Dickson@rfc_dickson

The BBC fail to disappoint in their latest piece today with yet more mumbo jumbo about Rangers being a new club, spreading lies for fun now

 

I for one see no reason why we should put up with this sort of open lies for much longer. Sue them and take this article straight to the BBC Trust and Ofcom. Use the RFFF for this if need be.

Edited by der Berliner
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Any legal minded peeps on this board who can perhaps clarify what is meant by "seek permission to appeal"?

 

Does this mean they have to apply to the Court of Session to query ask a judge to rule on whether they have sufficient grounds, i.e. on a point of law, with which to appeal?

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Any legal minded peeps on this board who can perhaps clarify what is meant by "seek permission to appeal"?

 

Does this mean they have to apply to the Court of Session to query ask a judge to rule on whether they have sufficient grounds, i.e. on a point of law, with which to appeal?

 

I believe that's what it means yes.

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Any legal minded peeps on this board who can perhaps clarify what is meant by "seek permission to appeal"?

 

Does this mean they have to apply to the Court of Session to query ask a judge to rule on whether they have sufficient grounds, i.e. on a point of law, with which to appeal?

 

Do they not go back to the same three judges and state their case to them first?

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Any legal minded peeps on this board who can perhaps clarify what is meant by "seek permission to appeal"?

 

Does this mean they have to apply to the Court of Session to query ask a judge to rule on whether they have sufficient grounds, i.e. on a point of law, with which to appeal?

 

I believe that's what it means yes.

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In any court of law you need a basis for an appeal. My understanding is that HMRC need a point of law for a basis of an appeal. What that is remains to be seen. You cannot simply appeal just because you don't like the verdict (well you can but it will be thrown out).

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In any court of law you need a basis for an appeal. My understanding is that HMRC need a point of law for a basis of an appeal. What that is remains to be seen. You cannot simply appeal just because you don't like the verdict (well you can but it will be thrown out).

 

Word is they are using part of Poons final judgement as the reason.

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