Originally posted by smalldog
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BN66 - Court of Appeal and beyond
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Originally posted by ContractIn View PostSorry but I don't want to go against the grain here, but do you know something we don't with regards to what MP will say?
They consider 3 months to be the blink of an eye. They will take their time and give us the best advice.Comment
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Originally posted by BrilloPad View PostI have no idea. But MP will fight every step of the way.
They consider 3 months to be the blink of an eye. They will take their time and give us the best advice.
Brush down the clobber, lift the chin and fight on.......Last edited by moira under the stairs; 20 February 2012, 08:28.MUTS likes it HotComment
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HMRC Discovery Timescales
Please correct me if I'm wrong on any of the following.
My understanding is that HMRC can only open an investigation into an "old" tax return if they use their special "discovery" protocol (eg if new information comes to their attention). In 2009, the rule in force at the time was that they would have to use discovery if more than 12 months had elapsed (the "ordinary time limit"). The rules were changed in 2010, and the ordinary time limit was lengthened considerably to four years.
I have 2 questions, which I'm hoping some wise forum members might be able to answer:
1) Does the discovery clock start ticking on the date that the tax return is submitted, or on the date that the deadline for submission has passed? In other words, let's say I filed my return for tax year 07/08 on 1st August 2008, well ahead of the online submission deadline of 31st Jan 2009. Does the discovery rule have to be used after 1st Aug 2009, or does it only kick in on 31st Jan 2010? So let's say HMRC open an investigation on 30th Jan 2010; can they do this without using discovery?
2) Now that the rules have changed, can the new lengthier timescales be applied to old investigations. In other words, an investigation was opened in the past where discovery should have been used (because more than 12 months had elapsed). Under the new rules, where less than four years have elapsed since the original return was submitted, is that earlier investigation now deemed to have been opened in an ordinary manner?Comment
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Originally posted by Morlock View PostPlease correct me if I'm wrong on any of the following.
My understanding is that HMRC can only open an investigation into an "old" tax return if they use their special "discovery" protocol (eg if new information comes to their attention). In 2009, the rule in force at the time was that they would have to use discovery if more than 12 months had elapsed (the "ordinary time limit"). The rules were changed in 2010, and the ordinary time limit was lengthened considerably to four years.
I have 2 questions, which I'm hoping some wise forum members might be able to answer:
1) Does the discovery clock start ticking on the date that the tax return is submitted, or on the date that the deadline for submission has passed? In other words, let's say I filed my return for tax year 07/08 on 1st August 2008, well ahead of the online submission deadline of 31st Jan 2009. Does the discovery rule have to be used after 1st Aug 2009, or does it only kick in on 31st Jan 2010? So let's say HMRC open an investigation on 30th Jan 2010; can they do this without using discovery?
2) Now that the rules have changed, can the new lengthier timescales be applied to old investigations. In other words, an investigation was opened in the past where discovery should have been used (because more than 12 months had elapsed). Under the new rules, where less than four years have elapsed since the original return was submitted, is that earlier investigation now deemed to have been opened in an ordinary manner?Comment
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If you want to know where HMRC will be spending our money once they have robbed us, here's a good example:
'Suspend back to work tsar': MPs demand action over fraud probe into job placement scheme | Mail Online
"Emma Harrison's firm A4e is accused of receiving fees from the taxpayer after finding people jobs lasting just 24 hours.... She awarded herself £8.6million of mainly taxpayers' cash this month"'Orwell's 1984 was supposed to be a warning, not an instruction manual'. -
Nick Pickles, director of Big Brother Watch.Comment
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DISCOVERY
Originally posted by Morlock View PostPlease correct me if I'm wrong on any of the following.
My understanding is that HMRC can only open an investigation into an "old" tax return if they use their special "discovery" protocol (eg if new information comes to their attention). In 2009, the rule in force at the time was that they would have to use discovery if more than 12 months had elapsed (the "ordinary time limit"). The rules were changed in 2010, and the ordinary time limit was lengthened considerably to four years.
I have 2 questions, which I'm hoping some wise forum members might be able to answer:
1) Does the discovery clock start ticking on the date that the tax return is submitted, or on the date that the deadline for submission has passed? In other words, let's say I filed my return for tax year 07/08 on 1st August 2008, well ahead of the online submission deadline of 31st Jan 2009. Does the discovery rule have to be used after 1st Aug 2009, or does it only kick in on 31st Jan 2010? So let's say HMRC open an investigation on 30th Jan 2010; can they do this without using discovery?
2) Now that the rules have changed, can the new lengthier timescales be applied to old investigations. In other words, an investigation was opened in the past where discovery should have been used (because more than 12 months had elapsed). Under the new rules, where less than four years have elapsed since the original return was submitted, is that earlier investigation now deemed to have been opened in an ordinary manner?
The time limit for making a discovery assessment is not later than 20 years after the end of the tax year to which it relates where the loss of tax is:
brought about deliberately by the person
attributable to a failure to notify liability under Section 7, or
attributable to a tax avoidance scheme which is a notifiable arrangement or a listed or hallmarked scheme and the user of the scheme failed to disclose details to HMRC at the proper time.
SALF411 - Enquiries into Tax Returns: time limits for discovery assessmentsLast edited by Ganimos; 20 February 2012, 10:52.Comment
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Discovery - Update
Originally posted by Morlock View PostPlease correct me if I'm wrong on any of the following.
My understanding is that HMRC can only open an investigation into an "old" tax return if they use their special "discovery" protocol (eg if new information comes to their attention). In 2009, the rule in force at the time was that they would have to use discovery if more than 12 months had elapsed (the "ordinary time limit"). The rules were changed in 2010, and the ordinary time limit was lengthened considerably to four years.
I have 2 questions, which I'm hoping some wise forum members might be able to answer:
1) Does the discovery clock start ticking on the date that the tax return is submitted, or on the date that the deadline for submission has passed? In other words, let's say I filed my return for tax year 07/08 on 1st August 2008, well ahead of the online submission deadline of 31st Jan 2009. Does the discovery rule have to be used after 1st Aug 2009, or does it only kick in on 31st Jan 2010? So let's say HMRC open an investigation on 30th Jan 2010; can they do this without using discovery?
2) Now that the rules have changed, can the new lengthier timescales be applied to old investigations. In other words, an investigation was opened in the past where discovery should have been used (because more than 12 months had elapsed). Under the new rules, where less than four years have elapsed since the original return was submitted, is that earlier investigation now deemed to have been opened in an ordinary manner?
Opening and Working Enquiries: SA Returns filed on time
"From 2008 the time limit for opening an SA enquiry is one year after the date the return is filed. So if the 2007/08 return is filed on 5 May 2008 the SA enquiry window closes on 5 May 2009"Comment
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Originally posted by Ganimos View PostFrom their site. Seems a 'catch all' situation now.
The time limit for making a discovery assessment is not later than 20 years after the end of the tax year to which it relates where the loss of tax is:
brought about deliberately by the person
attributable to a failure to notify liability under Section 7, or
attributable to a tax avoidance scheme which is a notifiable arrangement or a listed or hallmarked scheme and the user of the scheme failed to disclose details to HMRC at the proper time.
SALF411 - Enquiries into Tax Returns: time limits for discovery assessmentsComment
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Originally posted by TalkingCheese View PostBut we disclosed everything at the correct time, DOTAS number included, so we dont fall into that category I believe.Comment
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