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Official guidance
Appeals reviews and tribunals guidance

ARTG3010 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Contents page

  • ARTG3020 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Before the decision
  • ARTG3030 · Reviews and appeals for indirect taxes: appealing against a decision or assessment: who can make an appeal
  • ARTG3040 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: What decision can be appealed against
  • ARTG3041 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Appeals under specific provisions of the VAT Act 1994
  • ARTG3042 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: VAT appeals where tribunals jurisdiction is limited to reviewing HMRC’s decision
  • ARTG3050 · Reviews and appeals for indirect taxes: appealing against a decision or assessment: telling the customer of the decision
  • ARTG3060 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Customer asks for extension of review acceptance
  • ARTG3070 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Customer agrees with the decision
  • ARTG3080 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Customer does not accept the offer of a review but provides new information
  • ARTG3090 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Customer accepts the offer of a review within the time limits
  • ARTG3100 · Reviews and appeals for indirect taxes: appealing against a decision or assessment: customer appeals to the tribunal within the time limit
  • ARTG3110 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Customer does not reply to the decision letter within the time limit
  • ARTG3120 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Time limit for making an appeal
  • ARTG3130 · Reviews and appeals for indirect taxes: appealing against a decision or assessment: how a customer appeal to the tribunal
  • ARTG3140 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: What the appeal must contain
  • ARTG3150 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Grounds of appeal
  • ARTG3160 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Late appeals
  • ARTG3170 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Liaison with specialist offices
  • ARTG3180 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Linked appeals - indirect and direct taxes
  • ARTG3185 · Reviews and appeals for indirect cases: Appealing against a decision or assessment: Groups of related cases
  • ARTG3190 · Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Requests and appeals by third parties
  1. Reviews and appeals for indirect taxes: Appealing against a decision or assessment: Contents page
  2. Reviews and appeals for indirect taxes: appealing against a decision or assessment: customer appeals to the tribunal within the time limit

ARTG3100 | Reviews and appeals for indirect taxes: appealing against a decision or assessment: customer appeals to the tribunal within the time limit

From HM Revenue & Customs · Appeals reviews and tribunals guidance

The time limit for customers to appeal against most HMRC decisions is 30 days from the date of the document containing the disputed decision, such as the decision letter, but see also ARTG3060.

If the customer tells the decision maker they want to appeal to the tribunal, the decision maker should direct them to the guidance on appealing to the tax tribunal available on the gov.uk website and provide the Tribunals Service phone number (0300 123 1024).

If the customer sends the decision maker an appeal the decision maker should send the appeal to the Tribunals Service, tell the customer that they have done so, and offer them further information such as HMRC’s factsheet HMRC 1 (PDF 56KB).

But if the customer has accepted an offer of a review the review officer should explain that they must wait for either the outcome of that review or until the end of the 45 days or other agreed period, whichever is sooner.

Alternatively the decision maker may hear from the Clearing House, see ARTG8320 that the customer has appealed to the tribunal, in which case they should tell the Solicitor’s Office and the review team immediately and follow their instructions.

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