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Official guidance
Compliance Handbook

CH24300 · Information & Inspection Powers: Information Notices: Appeals

  • CH24320 · Who is entitled to appeal
  • CH24340 · Appeal procedures
  • CH24360 · Appealing against a taxpayer notice
  • CH24380 · Appealing against a third party notice
  • CH24400 · Appealing against an identity unknown notice
  • CH24410 · Appealing against an identification notice
  • CH24420 · Meaning of 'unduly onerous'
  • CH24440 · What the First-tier Tribunal can decide
  1. Information & Inspection Powers: Information Notices: Appeals: contents
  2. Information & Inspection Powers: Information Notices: Appeals: Meaning of 'unduly onerous'

CH24420 | Information & Inspection Powers: Information Notices: Appeals: Meaning of 'unduly onerous'

From HM Revenue & Customs · Compliance Handbook

Any notice to a person that requires information or documents for the purpose of checking another person’s tax position is likely to impose a burden on the recipient of the notice.

The most likely burden will be in the person’s time needed to comply with the notice and the cost of doing so.

Careful consideration must be given to whether that burden is reasonable and proportionate compared with your need to check the tax position, see CH21360.

Wherever possible, the person who will receive the notice should be given the opportunity to comment on the extent of the burden and those representations should be carefully balanced against the benefits the information or documents will bring to the progress of the check.

A notice or a requirement in a notice will be unduly onerous if the burden on the person receiving the notice is disproportionately greater than the benefit expected to be gained from having the information or documents in question.

FA08/SCH36/PARA30

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