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Official guidance
Compliance Handbook

CH205300 · How to do a compliance check: types of compliance checks: pre-return checks

  • CH205310 · Introduction
  • CH205320 · When they can be done
  • CH205330 · How to do a compliance check: types of compliance check: pre-return checks: tax planning and avoidance
  • CH205335 · How to do a compliance check: types of compliance check: pre-return checks: returns more that 12 months late
  • CH205340 · How to do a compliance check: types of compliance check: pre-return checks: restrictions on using information and inspection powers provided by Schedule 36 Finance Act 2008
  • CH205350 · How to do a compliance check: types of compliance check: pre-return checks: correcting inaccuracies
  1. How to do a compliance check: types of compliance checks: pre-return checks: contents
  2. How to do a compliance check: types of compliance check: pre-return checks: tax planning and avoidance

CH205330 | How to do a compliance check: types of compliance check: pre-return checks: tax planning and avoidance

From HM Revenue & Customs · Compliance Handbook

The powers available under Schedule 36 of FA 2008 enable you to carry out real-time checks into tax planning or avoidance schemes as they are being developed or implemented, rather than having to wait until a return has been made. You must have evidence to support the need to carry out such a check and the information or documents you ask for must be reasonably required by you for the purpose of checking a person’s tax position, see CH21620.

Until a return is filed you cannot pre-judge how a person will deal with a transaction.

Sources of information to identify potential tax planning or avoidance schemes that can be followed up using real-time checks include

  • interim company and group reports

  • end of year company and group reports

  • clearance requests

  • information obtained about current transactions including, for example, through a pre-transaction ruling on a point of law and

  • information identified during a check, for example, from management reports or step plans.

The use of formal powers under Schedule 36, to obtain information necessary to establish the tax position, will only be needed where it has not been provided following an informal request.

There are certain restrictions on the information that can be requested, for example, in relation to legally privileged information or documents, see CH22000.

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