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Contents

Official guidance
Corporate Finance Manual

CFM98720 · Interest restriction: administration: enquiry procedure

  • CFM98730 · Service of a notice of enquiry
  • CFM98740 · Normal time limits for opening an enquiry
  • CFM98750 · Extended time limits where there is a discovery
  • CFM98760 · Scope of enquiry and interaction with a CT return enquiry
  • CFM98770 · Notice requiring SA amendment to prevent loss of tax during enquiry
  • CFM98780 · Revision of a return during an enquiry
  • CFM98790 · Closure notice, correct group and period of account
  • CFM98800 · Requirement of a reporting company to submit a revised return
  • CFM98810 · Closure notices when return submitted for incorrect period of account
  • CFM98820 · Closure notices when group was identified incorrectly
  • CFM98830 · Closure notices when incorrect group and correct group has a reporting company
  • CFM98840 · Closure notices when incorrect group and correct group has no reporting company
  • CFM98850 · Direction to complete an enquiry
  • CFM98860 · Appeals against closure and PARA51 notices
  • CFM98870 · Determinations following an enquiry and resulting revisions
  • CFM98880 · Consequential claims to company tax returns following enquiry
  1. Interest restriction: administration: enquiry procedure
  2. Interest restriction: administration: enquiry procedure: revision of a return during an enquiry

CFM98780 | Interest restriction: administration: enquiry procedure: revision of a return during an enquiry

From HM Revenue & Customs · Corporate Finance Manual

TIOPA10/SCH7A/PARA46

TIOPA10/SCH7A/PARA46 follows the lines of FA98/SCH18/PARA31 and regulates what happens if a reporting company submits an amended return during the course of an enquiry.

The revisions made may be taken into account in the enquiry and do not restrict its scope.

The effects of the revision are deferred. They do not affect the tax payable by a company until the enquiry is completed, although this does not prevent a claim for repayment being made in advance of liability being established (TMA70/S59DA). On closure of the enquiry, the closure notice may disregard the revisions, accept them, or require them to be made along with other actions.

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