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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: Example - overstatement of losses increases the aggregate loss

CH82345 | Penalties for Inaccuracies: Calculating the penalty: Losses impact on potential lost revenue calculation: Example - overstatement of losses increases the aggregate loss

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.

Company D, E, F and G are a group of companies.

Their returned results are

D profits110000Less Group Relief 110,000 ( 110,000 surrendered by Company F)
E profits160000Less Group Relief 160,000 ( 90,000 surrendered by Company F + 70,000 by Company G)
F loss-200000
G loss-85000
Aggregate loss( 15,000)

Company F’s return is found to contain a careless inaccuracy of £10,000. Its true loss is £190,000.

Company F must amend its Group Relief surrenders. Company F can and does withdraw its Group Relief surrender to Company E and makes a new surrender to Company E of £80,000.

Company G can and does withdraw its surrender to Company E and makes a new surrender to Company E of £80,000.

The inaccuracy has the effect of increasing the aggregate loss recorded for the group and the potential lost revenue (PLR) is calculated using the rules for losses, see CH82341.

The losses rules apply to the amount of Company F’s overstated loss.

None of the amount has been used to reduce the amount of tax payable. The unused loss rule applies to £10,000.

PLR for Company F’s penalty is 10,000 x 10% = 1,000.

If at the time the penalty is to be imposed Company G has used all or part of the excessive loss (£10,000) to reduce tax liability in another period, the PLR is the additional tax due and payable when that loss is withdrawn.

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