Healy v Revenue and Customs: FTTTx 30 Mar 2012

INCOME TAX – deductions for accommodation and travel and subsistence -were these wholly and exclusively incurred for the purposes of the profession of actor – was base of operation relevant – was expenditure on food incidental to accommodation in rented flat -taxis fares unsupported by evidence-appeal allowed in part

Citations:

[2012] UKFTT 246 (TC)

Links:

Bailii

Jurisdiction:

England and Wales

Income Tax

Updated: 20 November 2022; Ref: scu.462617