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Official guidance
Company Taxation Manual

CTM34100 · Residence: outward company or permanent establishment migration

  • CTM34110 · Residence: outward company migration: before 15 March 1988
  • CTM34120 · Residence: outward company migration: from 15 March 1988
  • CTM34130 · Liabilities arising: introduction
  • CTM34131 · Liabilities arising: deferral of exit charges: background
  • CTM34132 · Liabilities arising: deferral of exit charges: eligible companies and conditions
  • CTM34133 · Liabilities arising: deferral of exit charges: exit charge payment plan: general
  • CTM34134 · Liabilities arising: deferral of exit charges: exit charge payment plan: instalment method
  • CTM34135 · Liabilities arising: deferral of exit charges: exit charge payment plan: realisation method: outline
  • CTM34136 · Liabilities arising: deferral of exit charges: exit charge payment plan: realisation method: tax deferral and annual reports
  • CTM34137 · Liabilities arising: deferral of exit charges: exit charge payment plan: action in HMRC offices: technical issues
  • CTM34138 · Liabilities arising: deferral of exit charges: exit charge payment plan: action in HMRC offices: other issues
  • CTM34139 · Liabilities arising: deferral of exit charges: exit charge payment plan: action in HMRC offices: on and following acceptance of claim
  • CTM34140 · Residence: outward company migration: ceasing residence for double taxation agreement purposes
  • CTM34160 · Residence: outward company migration: notice and arrangements
  • CTM34170 · Residence: outward company migration: HMRC office action
  • CTM34180 · Residence: outward company migration: penalties for non- compliance
  • CTM34190 · Residence: outward company migration: recovery of tax from other persons
  • CTM34195 · Residence: outward company migration: guidance notes for migrating companies
  1. Residence: outward company or permanent establishment migration: contents
  2. Residence: outward company migration: penalties for non- compliance

CTM34180 | Residence: outward company migration: penalties for non- compliance

From HM Revenue & Customs · Company Taxation Manual

If a company ceases to be resident without satisfying the requirement to give notice and to make arrangements, it is liable under TMA70/S109C to a penalty up to the amount of its outstanding liabilities at the date of migration. The directors of the company and of its controlling companies and the controlling companies themselves may also each be liable to a similar penalty.

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

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