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Contents

Official guidance
Compliance Handbook

CH190900 · Publishing details of deliberate tax defaulters: publication

  • CH190920 · Introduction
  • CH190940 · When does a qualifying relevant penalty become final
  • CH190960 · When does a qualifying relevant penalty become final - example 1 - penalty assessment
  • CH190980 · When does a qualifying relevant penalty become final - example 2 - contract settlement
  • CH191000 · Time limits
  • CH191010 · Time limits: first publishing a person’s details - one qualifying relevant penalty
  • CH191015 · Time limits: first publishing a person’s details - more than one qualifying relevant penalty
  • CH191020 · Time limits: first publishing a person’s details - more than one qualifying relevant penalty and not all penalties final
  • CH191025 · Time limits: first publishing a person's details - issues unlikely to lead to relevant penalties still to be resolved
  • CH191030 · Time limits: time limit for removing a person’s details from publication
  • CH191040 · Telling the person and inviting representations
  • CH191060 · The decision to publish and appeal rights
  • CH191080 · What we may publish
  • CH191100 · Where we may publish
  1. Publishing details of deliberate tax defaulters: publication: contents
  2. Publishing details of deliberate tax defaulters: publication: the decision to publish and appeal rights

CH191060 | Publishing details of deliberate tax defaulters: publication: the decision to publish and appeal rights

From HM Revenue & Customs · Compliance Handbook

If a person makes representations and provides reasons why we should not publish all or some of their details, these representations will be reviewed by the nominated Deputy Director of the Publishing Deliberate Defaulters Specialist Team. The Deputy Director will consider the representations made by the person when determining whether or not to publish the person's details.

There is no right of appeal to a tax tribunal against the decision to publish a person’s details. The person does, however, have full appeal rights against

  • our calculation of the amount of tax due (PLR),

  • our decision that a penalty is due, and

  • the amount of the penalty.

If the Publishing Deliberate Defaulters Specialist Team or the nominated Deputy Director decides to publish the person’s details, the person can only challenge that decision through the judicial review process (see ARTG12010).

FA09/S94 (6)

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