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Contents

Official guidance
Compliance Handbook

CH401000 · Charging penalties: introduction

  • CH401050 · Overview
  • CH401100 · Penalties for inaccuracies and under-assessments - FA07/Sch24
  • CH401125 · Penalties for failure to submit VAT returns and evidence of evasion - VATA94
  • CH401150 · Penalties for Failure to Notify - FA08/Sch41
  • CH401200 · Penalties for VAT or excise wrongdoing - FA08/Sch41
  • CH401220 · Penalties for failure to file returns on time - FA09/Sch55
  • CH401250 · Penalties for failure to file PAYE Real Time Information returns on time - FA09/Sch55 - manual process
  • CH401270 · Charging penalties: charging penalties: introduction: offshore asset based penalties
  • CH401280 · Charging penalties: charging penalties: introduction: offshore enabler's penalties
  • CH401290 · Requirement to correct
  • CH401300 · Inaccuracies - old and new penalties
  • CH401310 · Failure to notify - old and new penalties
  • CH401320 · Wrongdoing - old and new penalties
  • CH401350 · Cost effectiveness of penalty assessment
  1. Charging penalties: introduction: contents
  2. Charging penalties: introduction: failure to notify - old and new penalties

CH401310 | Charging penalties: introduction: failure to notify - old and new penalties

From HM Revenue & Customs · Compliance Handbook

The introduction, on 1 April 2010, of new failure to notify penalties under Sch41, FA08 did not change the person’s obligation to notify chargeability or register with HMRC. You must be clear about which penalty legislation to apply to each specific failure. This will depend on the tax period or relevant period, see CH71200.

Single obligation (for example VAT)

Where a single obligation to notify occurred before 1 April 2010, the failure penalty for the whole of the relevant period must be calculated and charged under the old penalty legislation.

Example

Sally should have notified a liability to be registered for VAT from 31 March 2008. You do not become aware of that obligation until 12 November 2010.

You should charge a penalty based on Sally’s tax liability for the whole of the return period using the previous legislation. You would not charge a Sch41, FA08 penalty on the tax liability that arose after 31 March 2010 because the obligation to notify fell before 1 April 2010.

Annual obligation (for example income tax)

Where the person has an annual obligation to notify, a penalty is charged for each tax period for which there has been a failure.

Example

Michael failed to notify liability to income tax for 2008-09 and 2009-10. You should charge a penalty for 2008-09 under Section 7(8), TMA70, see EM4500. The penalty for 2009-10 will be charged under Sch41, FA08.

Schedule 41 penalties must be authorised in accordance with the guidance at CH407740 while predecessor penalties are authorised in accordance with earlier arrangements.

(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

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