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Official guidance
Appeals reviews and tribunals guidance

ARTG2120 · Reviews and appeals for direct taxes: Appealing against a decision: what is an appeal: contents page

  • ARTG2130 · Reviews and appeals for direct taxes: Appealing against a decision: What is an appeal
  • ARTG2140 · Reviews and appeals for direct taxes: Appealing against a decision: How to appeal
  • ARTG2150 · Reviews and appeals for direct taxes: Appealing against a decision: Who can make an appeal
  • ARTG2160 · Reviews and appeals for direct taxes: Appealing against a decision: What decisions can be appealed against
  • ARTG2170 · Reviews and appeals for direct taxes: Appealing against a decision: Grounds of appeal
  • ARTG2171 · Reviews and appeals for direct taxes: Appealing against a decision: Invalid grounds of appeal
  • ARTG2172 · Reviews and appeals for direct taxes: Appealing against a decision: Rejecting an appeal
  • ARTG2180 · Reviews and appeals for direct taxes: Appealing against a decision: Time limits for making an appeal
  • ARTG2190 · Reviews and appeals for direct taxes: appealing against a decision: telling the customer about the decision
  • ARTG2200 · Reviews and appeals for direct taxes: Appealing against a decision: Customer agrees with the decision
  • ARTG2210 · Reviews and appeals for direct taxes: Appealing against a decision: Customer appeals within the time limit
  • ARTG2211 · Review and appeals for direct taxes: Appealing against a decision: Customer appeals and provides further information
  • ARTG2212 · Review and appeals for direct taxes: Appealing against a decision: Customer appeals and HMRC offer a review
  • ARTG2213 · Reviews and appeals for direct taxes: appealing against a decision: customer appeals and subsequently asks for a review
  • ARTG2214 · Review and appeals for direct taxes: Appealing against a decision: Customer appeals then notifies appeal to tribunal
  • ARTG2215 · Reviews and appeals for direct taxes: Appealing against a decision: Customer appeals against certain penalties or surcharges
  • ARTG2216 · Reviews and appeals for direct taxes: Appealing against a decision: Current view of the matter not sent or unsatisfactory
  • ARTG2220 · Reviews and appeals for direct taxes: Appealing against a decision: Customer does not reply to the decision within the time limits
  • ARTG2230 · Reviews and appeals for direct taxes: appealing against a decision: liaison with specialist offices
  • ARTG2240 · Reviews and appeals for direct taxes: Appealing against a decision: Late appeals
  • ARTG2250 · Reviews and appeals for direct taxes: Appealing against a decision: Late appeals and reasonable excuse
  • ARTG2260 · Reviews and appeals for direct taxes: Appealing against a decision: Linked appeals for direct and indirect taxes
  • ARTG2270 · Review and appeals for direct taxes: Appealing against a decision: Groups of related cases
  1. Reviews and appeals for direct taxes: Appealing against a decision: what is an appeal: contents page
  2. Reviews and appeals for direct taxes: Appealing against a decision: Late appeals

ARTG2240 | Reviews and appeals for direct taxes: Appealing against a decision: Late appeals

From HM Revenue & Customs · Appeals reviews and tribunals guidance

If the time limit for sending an appeal to HMRC, see ARTG2180, has expired a customer who disagrees with HMRC’s decision or assessment can write to HMRC and ask for their appeal to be accepted out of time.

The decision maker must accept an appeal made outside the 30 day time limit, (s 49(3) TMA 1970), if they are satisfied that

  • there was a reasonable excuse, see ARTG2250, for not appealing within the time limit, and

  • the customer appealed without unreasonable delay after the excuse ceased.

If the decision maker accepts the customer’s appeal they should confirm this in writing.

If the decision maker does not accept the customer’s late appeal they should tell them in writing, explaining why and telling them that if they want to take matters further they should apply to the tribunal to consider their request, see ARTG8240.

Standard template wording for rejecting a late appeal can be found in ARTG15000.

The tribunal is not limited by reasonable excuse conditions and can accept late appeals, if they consider it is in the interests of justice to do so. HMRC may make representations at any tribunal hearing.

See ARTG8558 for guidance on late appeals where the case is related to others with similar issues of fact or law.

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