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Contents

Official guidance
Compliance Handbook

CH177000 · Sanctionable conduct by tax advisers: file access notice

  • CH177010 · Overview
  • CH177020 · Power to access a tax adviser's files
  • CH177060 · Meaning of reasonable grounds to suspect
  • CH177080 · Power to access tax adviser's files from third parties
  • CH177100 · When to issue a file access notice
  • CH177110 · What are relevant documents
  • CH177120 · What are relevant documents - examples
  • CH177130 · What the file access notice must contain
  • CH177140 · Sanctionable conduct by tax advisers: file access notice: approval by tribunal
  • CH177150 · Documents and information that cannot be requested: overview
  • CH177160 · Sanctionable conduct by tax advisers: file access notice: documents and information that cannot be requested: not in a person's possession or power
  • CH177170 · Documents and information that cannot be requested: appeal material
  • CH177180 · Documents and information that cannot be requested: personal records
  • CH177190 · Documents and information that cannot be requested: journalistic material
  • CH177200 · Documents that cannot be requested: old documents
  • CH177210 · Documents and information that cannot be requested: privileged communications
  • CH177220 · Power to copy records
  • CH177230 · Power to retain records
  • CH177240 · Appeal against a file access notice: document holder is a tax adviser
  • CH177250 · Appeal against a file access notice: document holder is not a tax adviser
  • CH177260 · Appeals against a file access notice: actions available to tribunal
  • CH177270 · Penalties for failing to comply: overview
  • CH177280 · Penalties for failing to comply: time limits
  • CH177290 · Penalties for failing to comply: initial penalty
  • CH177300 · Penalties for failing to comply: initial penalty - example
  • CH177310 · Penalties for failing to comply: daily penalties
  • CH177320 · Penalties for failing to comply: daily penalties - example
  • CH177330 · Failure to comply with a file access notice: reasonable excuse
  • CH177340 · Penalties for failing to comply: offence of concealment in connection with a file access notice
  • CH177350 · Penalties for inaccuracies: Overview
  • CH177360 · Penalties for an inaccuracy: amount of the penalty
  • CH177370 · Penalties for inaccuracies: Time limits
  1. Sanctionable conduct by tax advisers: file access notice: contents
  2. Sanctionable conduct by tax advisers: file access notice: documents and information that cannot be requested: not in a person's possession or power

CH177160 | Sanctionable conduct by tax advisers: file access notice: documents and information that cannot be requested: not in a person's possession or power

From HM Revenue & Customs · Compliance Handbook

We cannot require a person to produce a document unless

  • the document is in their possession, or

  • they have the power to produce it.

‘In their possession’ means that the person has physical control over the document. It does not matter who the document belongs to.

‘In their power’ means the person has the ability to get the document, or a copy of it, from whoever holds it.

This ability to get the document can be through

  • a legal entitlement to make the person holding the document give it to them, or

  • the influence that the person has on the person who owns or possesses the document.

We do not need to be able to prove that a document is in a person’s possession or power before requiring them to produce it.

However, the person will not have failed to produce the document (or a copy of it) if they can satisfactorily show

  • that it is not in their possession or within their power to produce, or

  • why they are unable to produce a document that is within their power.

The onus is on the person to produce the document.

FA12/SCH38/PARA14

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