Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Customs Civil Penalties Guidance
  • CCPG10100 · Introduction
  • CCPG10500 · Glossary
  • CCPG11000 · Customs law and HMRC compliance strategy
  • CCPG11100 · Persons who must comply with Customs law
  • CCPG11200 · Customs Civil Penalties Guidance: establishing a contravention of Customs law
  • CCPG11300 · Customs Civil Penalties Guidance: discretion to take penalty action
  • CCPG11400 · Customs Civil Penalties Guidance: penalties
  • CCPG11500 · Customs Civil Penalties Guidance: right to be heard
  • CCPG11600 · Customs Civil Penalties Guidance: time limits for issuing a warning letter or penalty notice
  • CCPG11700 · Reasonable excuse
  • CCPG11800 · Mitigation
  • CCPG11900 · Customs Civil Penalties Guidance: reviews and appeals against warning letters and penalty decisions
  • CCPG12000 · Customs Civil Penalties Guidance: further contraventions after the issue of a warning letter or penalty notice
  • CCPG20000 · Customs Civil Penalties Guidance: operational overview
  • CCPG21000 · HMRC roles
  • CCPG22000 · Classifying the category of contravention
  • CCPG23000 · Options for addressing a contravention
  • CCPG24000 · Customs Civil Penalties Guidance: no action necessary
  • CCPG25000 · Providing education
  • CCPG26000 · Warning letter
  • CCPG27000 · Penalty notice
  • CCPG28000 · Amending or revoking an authorisation
  • CCPG29000 · Reviews and appeals
  • CCPG30000 · Customs and International Trade and Excise officers operational process
  • CCPG40000 · Non-Customs and International Trade and Excise officers operational process
  • CCPG10140 · Introduction: Example of a completed Penalty Notice
  • CCPG29500 · Customs Civil Penalties Guidance: COVID-19 Guidance
  1. Customs Civil Penalties Guidance
  2. Customs Civil Penalties Guidance: no action necessary

CCPG24000 | Customs Civil Penalties Guidance: no action necessary

From HM Revenue & Customs · Customs Civil Penalties Guidance

There may be some circumstances where, although we have found a contravention or contraventions, it is appropriate to take no penalty action. This will be in circumstances where taking any action is unlikely to improve compliance.

We do not generally consider isolated errors which are not typical of a trader’s approach to compliance, such as typographical errors or miscalculations, as poor compliance. However, each instance depends on its own circumstances.

In such cases, it is not appropriate to provide education or consider penalty action but we must record in the post visit letter

  • what was found,

  • observations on how this contravention may have occurred, and

  • if possible, the detail of the corrective action the trader should take to prevent it from happening again in future.

You must complete a Customs Penalty Action Checklist (CPAC) for any decision you make about a contravention. You must get your decision agreed by your manager.

PreviousNext
PrivacyTerms