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Contents

Official guidance
Corporate Finance Manual

CFM98890 · Interest restriction: administration: record retention and information powers

  • CFM98900 · Duty to keep and preserve records
  • CFM98910 · Introduction
  • CFM98920 · Powers relating to members of worldwide group
  • CFM98930 · Third party information powers
  • CFM98940 · Limitation of powers when enquiry is currently opened into a filed return
  • CFM98950 · Meaning of "checking an interest restriction return"
  • CFM98960 · Appeals against information notices
  • CFM98970 · General information powers and interest restriction information powers
  1. Interest restriction: administration: record retention and information powers
  2. Interest restriction: administration: record retention and information powers: introduction

CFM98910 | Interest restriction: administration: record retention and information powers: introduction

From HM Revenue & Customs · Corporate Finance Manual

FA08/SCH36 contains comprehensive information powers, but some of those provisions deal with matters not relevant to checking an interest restriction return. Accordingly, TIOPA10/SCH7A/PT7 contains specific powers which cross-reference certain provisions of the more general powers. These powers are in addition to those in PT6 which are exercisable by the reporting company see CFM98510, or members of a worldwide group, see CFM98657.

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