Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Claimant Compliance Manual

CCM13000 · Discovery Decisions - Contents

  • CCM13010 · Discovery Decisions: General
  • CCM13020 · Discovery Decisions: Meaning of
  • CCM13030 · Discovery Decisions: Earliest date at which a Discovery Decision may be made
  • CCM13040 · Discovery Decisions: Where a person's income tax liability is revised
  • CCM13050 · Discovery Decisions: When is a person's income tax liability revised
  • CCM13060 · Discovery Decisions: Time limit for S20(1) decision
  • CCM13070 · Discovery Decisions: SA Enquiries concluded by Contract Settlement
  • CCM13080 · Discovery Decisions: Earliest date at which Discovery Decision should be made
  • CCM13090 · Discovery Decisions: S20(1) Decision - Reasonable grounds for believing
  • CCM13095 · Discovery Decisions: Example of reasonable grounds for believing
  • CCM13100 · Discovery Decisions: Discovery Decision where fraud or neglect is involved
  • CCM13110 · Discovery Decisions: Time limit for S20(4) decision
  • CCM13150 · Discovery Decisions: Fraud or neglect - Opening the discovery enquiry
  • CCM13170 · Discovery Decisions: Income tax liability revised AND fraud/neglect established
  • CCM13200 · Discovery Decisions: General Approach
  • CCM13204 · Discovery Decisions: Discovery Arising From An Existing Enquiry
  • CCM13206 · Discovery Decisions: No Existing Enquiry
  • CCM13210 · Discovery Decisions: Discovery - Extending an enquiry under S19
  • CCM13250 · Discovery Decisions: No formal information powers
  • CCM13260 · Discovery Decisions: How to arrive at appropriate decision
  • CCM13270 · Discovery Decisions: Time limit for making a discovery decision about to expire - review of working cases
  • CCM13280 · Discovery Decisions: Discovery decisions not to be made routinely as part of S19 enquiries
  1. Discovery Decisions - Contents
  2. Discovery Decisions: Fraud or neglect - Opening the discovery enquiry

CCM13150 | Discovery Decisions: Fraud or neglect - Opening the discovery enquiry

From HM Revenue & Customs · Claimant Compliance Manual

This page was Archived on 31/08/16

You will need to open a discovery enquiry if

  • you need to make changes to the tax credits entitlement to reflect changes to the income tax liability, or

  • you think the entitlement for the year may be wrong (a full discovery enquiry) and the enquiry window for the year has closed.

A discrepancy discovery enquiry will be appropriate where there is a single issue to be addressed (the revision of the income tax liability) and the enquiry window for the year is closed and there are no penalties. In all other cases the discovery enquiry will need to be worked in the Claimant Compliance Centre (CCC).

See CCM13200 for guidance on opening a discovery enquiry.

PreviousNext
PrivacyTerms