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Contents

Official guidance
Compliance Handbook

CH22000 · Information & Inspection Powers: conditions and safeguards: restrictions

  • CH22100 · Introduction
  • CH22120 · Possession or power
  • CH22140 · Old documents
  • CH22160 · Appeal material
  • CH22180 · Personal records
  • CH22200 · Personal records: Head office contact
  • CH22220 · Journalistic material
  • CH22240 · Legal professional privilege
  • CH22260 · Tax advice
  • CH22280 · Auditors' papers
  • CH22320 · Relevant communications
  • CH22340 · Exceptions for auditors' and tax advisers' papers
  1. Information & Inspection Powers: conditions and safeguards: restrictions: contents
  2. Information & Inspection Powers: Conditions and safeguards: Restrictions: Relevant communications

CH22320 | Information & Inspection Powers: Conditions and safeguards: Restrictions: Relevant communications

From HM Revenue & Customs · Compliance Handbook

Relevant communications are communications

  • between a tax adviser (including a voluntary sector adviser) and

  • the person in respect of whose tax affairs the adviser has been appointed to act, or

  • any other tax adviser of that person, and

  • whose purpose is to give or obtain advice about any of that person’s tax affairs.

A document containing relevant communications must be the tax adviser’s property, that is, it must belong to the adviser. If it belongs to the client it will not be protected by the restriction.

Relevant communications may be in the form of

  • letters

  • emails

  • faxes

  • notes of telephone conversations, or

  • notes of meeting.

FA08/SCH36/PARA25 (3)

CEMA79/S118BA

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