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Official guidance
Compliance Handbook

CH82300 · Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation

  • CH82301 · Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Losses
  • CH82310 · Losses used
  • CH82320 · Losses not used
  • CH82330 · Losses available for potential lost revenue calculation
  • CH82331 · Losses available Income Tax example
  • CH82332 · Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Losses available Capital Gains Tax example
  • CH82333 · Losses available Corporation Tax example
  • CH82340 · Understatement of aggregate group profits
  • CH82341 · Aggregate group losses
  • CH82342 · Example - understatement of profits creates an aggregate loss
  • CH82343 · Example - overstatement of losses creates an aggregate loss
  • CH82344 · Example - understatement of profits increases the aggregate loss
  • CH82345 · Example - overstatement of losses increases the aggregate loss
  • CH82350 · Losses and when to assess a penalty
  • CH82360 · Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Later returns become due
  • CH82370 · Losses where there is no reasonable prospect of use
  • CH82371 · Example - Losses - no reasonable prospect of use
  1. Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: contents
  2. Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Losses available Corporation Tax example

CH82333 | Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Losses available Corporation Tax example

From HM Revenue & Customs · Compliance Handbook

You must check the date from which these rules apply for the tax or duty you are dealing with. See CH81011 for full details.

Big Ltd, a company in a profitable group returns a trade loss of £10,000. It sets off £2,000 against its CT profits of the preceding period and surrenders £5,000 as Group Relief to Small Ltd, a fellow group company. The balance of £3,000 is carried forward for set off against expected future trade profits.

Big Ltd’s return is found to contain a careless inaccuracy. The true loss is £1,500. Big Ltd reduces its claim to set off the loss against its CT profits of the preceding period to £1,500 and withdraws the surrender of £5,000 as Group Relief.

It has not yet used the carried forward loss against its profits.

The potential lost revenue (PLR) for the careless inaccuracy, assuming liability at the small companies’ rate (say 21%) is

Additional amount due or payable by Big Ltd for preceding period (2,000 – 1,500)500 x 21%=105
Additional amount due or payable by Small Ltd5000 x 21%=1050
Unused loss3000 x 10%=300
Total=1455

The original claim to Group Relief by Small Ltd was inaccurate as a result of the surrendering company’s incorrectly recorded loss. So we are not prevented from charging a penalty.

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