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Official guidance
Appeals reviews and tribunals guidance

ARTG4200 · Review of direct and indirect taxes decisions: Arranging for a review: Contents page

  • ARTG4210 · Review of direct and indirect taxes decisions: Arranging for a review: Triggers for a review
  • ARTG4220 · Review of direct and indirect taxes decisions: arranging for a review: HMRC offer of a review (direct taxes)
  • ARTG4230 · Review of direct and indirect taxes decisions: Arranging for a review: HMRC offer of a review (indirect taxes)
  • ARTG4240 · Review of direct and indirect taxes decisions: Arranging for a review: Time limit for customer to accept HMRC's offer of review
  • ARTG4250 · Review of direct and indirect taxes decisions: Arranging for a review: Customer agrees with HMRC's current view (direct tax)
  • ARTG4260 · Review of direct and indirect taxes decisions: Arranging for a review: Customer accepts HMRC's offer to review their decision within the time limit
  • ARTG4270 · Review of direct and indirect taxes decisions: Arranging for a review: Customer sends an appeal to the tribunal within the time limit
  • ARTG4280 · Review of direct and indirect taxes decisions: Arranging for a review: Customer does not accept offer of a review
  • ARTG4290 · Review of direct and indirect taxes decisions: Arranging for a review: Asking HMRC for a review (direct taxes)
  • ARTG4291 · Review of direct and indirect taxes decisions: Arranging for a review: Asking HMRC for a review (indirect taxes - third parties)
  • ARTG4300 · Review of direct and indirect taxes decisions: Arranging for a review: Late acceptance of a review offer
  • ARTG4310 · Review of direct and indirect taxes decisions: Arranging for a review: Who carries out reviews
  • ARTG4320 · Review of direct and indirect taxes decisions: Arranging for a review: What are review teams
  • ARTG4330 · Review of direct and indirect taxes decisions: arranging for a review: review arrangements
  • ARTG4340 · Review of direct and indirect taxes decisions: arranging for a review: disclosure of sensitive information
  1. Review of direct and indirect taxes decisions: Arranging for a review: Contents page
  2. Review of direct and indirect taxes decisions: arranging for a review: disclosure of sensitive information

ARTG4340 | Review of direct and indirect taxes decisions: arranging for a review: disclosure of sensitive information

From HM Revenue & Customs · Appeals reviews and tribunals guidance

A decision maker may receive sensitive information in relation to a case where a review has been requested. 'Sensitive information' includes for example

  • details of an ongoing investigation

  • intelligence information such as HumInt, or

  • intelligence derived from anti money laundering reports known as SARs (Suspicious Activity Reports).

(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

The decision maker can contact

  • the National HumInt Centre for advice if intelligence is derived from HumInt, or

  • the RIS Financial Intelligence Team for advice in relation to SARs,

  • a RIS Intelligence Adviser for general advice on the handling of intelligence

Note: The RIS Financial Intelligence Team is a HMRC team embedded within the National Crime Agency (NCA).

In general, the Review Officer or HMRC Legal Group litigator should not be sent any intelligence or sensitive documents.

HMRC Legal Group should only be sent evidence which has been relied upon when making our decision and which can be disclosed to the customer (but exceptions may apply, see ARTG8640).

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