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.