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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: what we may publish

CH191080 | Publishing details of deliberate tax defaulters: publication: what we may publish

From HM Revenue & Customs · Compliance Handbook

We may publish some or all of the following details.

  • The name of the person who incurs the penalty including any trading name, previous name or pseudonym.

  • The person’s address (or registered office, in the case of a company).

  • The nature of any business carried on by the person.

  • The amount of the qualifying relevant penalty or penalties.

  • The qualifying potential lost revenue (PLR) in relation to the qualifying relevant penalty, or the total of the qualifying PLR for all of the qualifying relevant penalties.

  • The periods when the inaccuracy, failure or wrongdoing that gave rise to the qualifying relevant penalty or penalties occurred.

  • Any other details that we consider necessary in order to make the person’s identity clear.

CH191200+ explains whose details we publish when a partnership is involved.

CH190400 explains that we will not publish the details of a company officer if we look to them for payment of a company’s qualifying relevant penalty.

FA09/S94 (4)

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