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Contents

Official guidance
COTAX Manual

COM71000 · Enquiries: CTSA enquiries

  • COM71001 · Introduction
  • COM71005 · Time limit for opening an enquiry
  • COM71010 · Opening an enquiry
  • COM71011 · Functions
  • COM71013 · Opening an enquiry (Action Guide)
  • COM71020 · Taxpayer amendments
  • COM71021 · Forms
  • COM71030 · Repayment during enquiry
  • COM71040 · Making jeopardy amendments
  • COM71041 · Making jeopardy amendments (Action Guide)
  • COM71050 · Appeals against jeopardy amendments
  • COM71051 · Appeals against jeopardy amendments (Action Guide)
  • COM71060 · Enquiry into return for the wrong period
  • COM71061 · Enquiry into return for the wrong period (Action Guide)
  • COM71080 · Transferring an enquiry to FIS
  • COM71090 · Closing an enquiry: non-contract settlements
  • COM71091 · Closing an enquiry: non-contract settlements (Action Guide menu)
  • COM71092 · Closing an enquiry: non-contract settlement cases (Action Guide)
  • COM71093 · Closing an enquiry: manual closure notices (Action Guide)
  • COM71094 · Closing an enquiry non-contract settlement helpcard for caseworkers
  • COM71095 · Closing an enquiry non-contract settlement helpcard for COTAX operators
  • COM71100 · Closing an enquiry: reissuing a closure notice
  • COM71105 · Closing an enquiry: error in issuing a closure notice
  • COM71110 · Closing an enquiry: revenue amendments
  • COM71111 · Closing an enquiry: revenue amendments (Action Guide)
  • COM71120 · Closing an enquiry: closing an enquiry: contract settlements
  • COM71121 · Closing an enquiry: closing an enquiry: contract settlements (Action Guide)
  • COM71122 · Closing an enquiry: closing an enquiry: contract settlements helpcard for caseworkers
  • COM71123 · Closing an enquiry: closing an enquiry: contract settlements helpcard for COTAX operators
  • COM71125 · Partial closure notice
  • COM71126 · Partial closure notice (Action Guide)
  • COM71130 · Closing an enquiry: discovery assessments & determinations
  • COM71140 · Closing an enquiry: enquiries under Schedule 1A TMA 1970
  • COM71141 · Closing an enquiry: enquiries under Schedule 1A TMA 1970 (Action Guide)
  1. Enquiries: CTSA enquiries: contents
  2. Enquiries: CTSA enquiries: opening an enquiry

COM71010 | Enquiries: CTSA enquiries: opening an enquiry

From HM Revenue & Customs · COTAX Manual

You must follow the guidance in the Enquiry Manual at EM1500 onwards when opening an enquiry into a company tax return.

You must give the company written notice of intention to enquire.

The notice must be received by the company on or before the last date for enquiry. See COM71005 for more information.

If the enquiry results from an amendment to the return, the scope of the enquiry is limited to matters relating to or affected by that amendment unless we are still within the time limit to enquire into the original return.

Otherwise, an enquiry into a return can extend to anything in the return, or anything required to be contained in the return.

You do not have to give reasons for dissatisfaction with the return and should not do so.

You cannot open an enquiry if you have already opened and closed an enquiry into that return and have received no new amendment. You may still be able to make a discovery assessment or determination for that period.

There is a similar right to enquire into any claim notincluded in a return, that is, made outside a return, but if we have issued a notice to deliver a return and a claim can be made as part of a return, that is the only way in which it can be made.

When you issue a notice or intention to enquire into a return you must use the wording given in the Enquiry Manual.

COTAX does not issue the notice of enquiry. You need to do that locally in the form of a CTSA opening letter available on SEES.

If your office does not use Caseflow to control enquiry cases, you need to record on COTAX that you have started an enquiry by using function MAPS (Maintain AP Signals) to set the ‘enquiry in progress’ signal on the record.

A notice of intention to enquire is given on the date on which it is delivered to the taxpayer. For a notice given by post, this means that you should despatch the notice in sufficient time for it to arrive at the company premises before the time limit expires.

See:

  • COM71011 for a list of functions to use in particular situations

  • COM71012 for legislation applying to this subject

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