Case Information
- Court: Court of Appeal (Civil Division)
- Case No: C1/2017/1845
- Applicant: Glencore Energy UK Limited
- Defendant: The Commissioners for Her Majesty’s Revenue and Customs (HMRC)
- Judgment Date: 2 November 2017
This case examines the boundaries of judicial review in tax disputes involving the Diverted Profits Tax (DPT), a tax introduced by the Finance Act 2015 to prevent profit shifting by multinationals. Glencore Energy UK Limited (GENUK), a subsidiary of the Swiss-based Glencore International AG (GIAG), was assessed under the DPT framework after HMRC deemed the service fees paid by GENUK to GIAG under a Risk and Services Agreement (RSA) to be excessive. The arrangement allegedly diverted profits from the UK to Switzerland, reducing GENUK’s tax liability.