Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Company Taxation Manual

CTM95300 · Corporation Tax self assessment: Revenue determination

  • CTM95305 · CTSA: Revenue determination: Power to make
  • CTM95310 · CTSA: Revenue determination: Timing
  • CTM95320 · CTSA: Revenue determination: Period for which made
  • CTM95330 · CTSA: Revenue determination: When of no effect
  • CTM95340 · CTSA: Revenue Determination: Review
  • CTM95350 · CTSA: Revenue determination: Filing date ascertainable?
  • CTM95360 · CTSA: Revenue determination: partial compliance with notice to deliver
  • CTM95370 · CTSA: Revenue determination: Dates payable
  • CTM95380 · CTSA: Revenue determination: Enforcement power
  • CTM95390 · CTSA: Revenue determination: Time limit
  • CTM95400 · CTSA: Revenue determination: Superseded by SA
  • CTM95410 · CTSA: Revenue determination: Proceedings for tax started: company makes return
  • CTM95430 · CTSA: Revenue determination: Negative amounts
  • CTM95440 · CTSA: Revenue determination: Conclusiveness of amount
  • CTM95420 · CTSA: Revenue determination: Estimated assessments
  • CTM95450 · CTSA: Revenue determination: What to determine
  • CTM95460 · CTSA: Revenue determination: Estimated determination
  • CTM95470 · CTSA: Revenue determination: Finality
  1. Corporation Tax self assessment: Revenue determination: contents
  2. CTSA: Revenue determination: Filing date ascertainable?

CTM95350 | CTSA: Revenue determination: Filing date ascertainable?

From HM Revenue & Customs · Company Taxation Manual

FA98/SCH18/PARA36 (2)

Paragraph 36 (2) says that you can make a Revenue determination:

  • immediately after the filing date, if that date can be ascertained,

or, if that date cannot be ascertained,

  • the later of:

    • 18 months from the end of the period specified in the notice,

and

  • three months from the day on which the notice was served

The following information is relevant to ‘ascertaining’ the filing date for a return for an accounting period:

  1. The accounting period that the return will cover.

  2. Whether or not that accounting period coincides with a period of account of the company and, if it does not, into what period of account of the company the accounting period falls.

  3. In some cases, the date of service of the notice to deliver.

Some dictionaries say that ‘ascertain’ means ‘find out for certain’. Others indicate that something less than complete certainty may be sufficient.

HMRC takes the view that something less than complete certainty is needed in the current context. In the absence of a return, you can rarely be completely certain of:

  • the period that a return should cover, or

  • the filing date for the return.

You may therefore regard the filing date as ascertainable if:

  • you have positive information about the company’s business activities and accounting intentions (for example, in a new case),

  • the company has an established accounting date and tax history and you hold no information to suggest that the outstanding return will break that pattern,

  • the company is a member of a Group Payment Arrangement.

Using the examples in CTM95340:

  • If there is no indication in the file that the company has changed its accounting date you may regard the filing date is as certainable in example 1.

  • In example 2 you have no history and no positive information about the company’s activities or accounting intentions. You should not regard the filing date as ascertainable.

  • The filing date is ascertainable in a case like example 3, on the basis of the additional information provided by the company in October 2019.

When the date of service of a notice to deliver is material in determining the filing date assume that it was delivered three working days after its date of issue.

PreviousNext
PrivacyTerms