Entry of nil valuation on list
UTLC RATING – Valuation – non- domestic hereditament – Local Government Finance Act 1988 schedule 6 – appeal to Upper Tribunal raising a point of law upon agreed facts – agreement that had the subject office hereditament been on the market at the relevant date nobody in the real world would have been prepared to occupy the property and pay a positive price – other comparable office properties in occupation at substantial rents at relevant date – whether a nil (or nominal) rateable value to be entered in valuation list . . appeal allowed.
[2016] UKUT 258 (LC)
Bailii
Local Government Finance Act 1988
England and Wales
Cited by:
At UTLC – Telereal Trillium v Hewitt (Valuation Officer) CA 19-Jan-2018
The land owner appealed from a finding that the offices which it could not let for lack of commercial demand had a rating list valuation of pounds 370,000.
Held: The valuation was set aside and replaced with a value reflecting the market value . .
At UTLC – Telereal Trillium v Hewitt (Valuation Officer) SC 15-May-2019
The court considered correct approach to determination of the rateable value of an office building, in circumstances where the evidence showed at the relevant time a general demand in the area for comparable office buildings, but no actual tenant . .
Lists of cited by and citing cases may be incomplete.
Rating
Updated: 02 November 2021; Ref: scu.565806