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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: requirement of a reporting company to submit a revised return

CFM98800 | Interest restriction: administration: enquiry procedure: requirement of a reporting company to submit a revised return

From HM Revenue & Customs · Corporate Finance Manual

TIOPA10/SCH7A/PARA50

Where a closure notice so directs, the reporting company is required to submit one (or more) interest restriction returns, which give effect to the changes required by the closure notice (TIOPA10/SCH7A/PARA50(1)). It must also make any consequential amendments.

Such a return must indicate the ways in which it differs from any previous return, and supersedes any such return.

The time limit for submitting the revised return is 3 months from the date of the closure notice. This time limit overrides the normal time limits in PARAS 7(6) and 8(3) - see CFM98520 and CFM98530.

Where the reporting company fails to submit a return within the time limit, an officer of Revenue and Customs may make a determination under PARA58, see CFM98870.

The provisions of PARA50 as regards amendments to interest restriction returns are equally applicable to the more complex scenarios described at CFM98820 to CFM98840, to the extent that the closure notice requires returns to be submitted.

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