Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Debt Management and Banking Manual

DMBM450000 · Legislation and enabling regulations

  • DMBM450010 · Legislation: Debts recoverable as if they were tax
  • DMBM450020 · Legislation: enabling the taking of proceedings
  • DMBM450030 · Legislation: Due and payable dates
  • DMBM450040 · Legislation: PAYE Regulations
  • DMBM450100 · Legislation: IT-SC Regulations
  • DMBM450110 · Self Assessment
  • DMBM450120 · Legislation: Revenue Determinations
  • DMBM450130 · Legislation: VAT: Debts due to the crown
  • DMBM450140 · Legislation: Environmental Taxes
  • DMBM450150 · Legislation: Excise Duties
  • DMBM450160 · Legislation: Customs and other duties
  1. Legislation and enabling regulations: Contents
  2. Legislation: Due and payable dates

DMBM450030 | Legislation: Due and payable dates

From HM Revenue & Customs · Debt Management and Banking Manual

Some content of this manual is being considered for archiving. If there is content you use regularly, please email [email protected] to let us know as soon as possible.

In addition to answering the specific types of defence covered in DMBM666390 you may also have to explain how the due and payable date of the tax is determined. For example, for SA you would have to inform the court that ‘the tax is charged under section 59A TMA1970. The first instalment of that tax, to which my claim for interest relates, became payable on the 31st of January 2008’.

Refer to the following table, which gives the relevant legislation.

Type of caseLegislation Determining The Due and Payable Date
Self-assessment POAS59A(2) TMA1970
SA balancing paymentS59B TMA1970
SA Revenue determinationS28C TMA1970
Schedule D/ NIC-4ICTA88/ S5 (1)-(3) (formerly S4(1)-(2) ICTA 1970)
Income Tax PAYERegulation 69 Income Tax (PAYE) 2003
IT-SC monthly paymentReg 7 income Tax (Construction Industry Scheme) Regulations 2005.
National Insurance Class 1 & 1AAs Income Tax PAYE above as applied by Regulation 28 Schedule 1 Social Security (Contributions) Regulation 1979
Corporation TaxICTA88/ S8 (formerly S243 ICTA 1970)
Capital Gains TaxTCGA92/ S7
Assessment under:- ICTA88/ S419 (formerly S286 ICTA 1970)ICTA88/ S419 (3) (formerly S286(4) ICTA 1970)
ICTA88/ SCH13 (formerly Schedule 14 FA 1972)ICTA88/ SCH13/ PARA10 (20-(3) (formerly para 10 (2)-(3) Schedule 14 FA 1972)
ICTA88/ SCH16 (formerly Schedule 20 FA 1972)ICTA88/ SCH16/PARA10 (2)-(3) (formerly para 10(2)-(3) Schedule 20 FA 1972)
ICTA88/ S252 (formerly S102 FA 1972)ICTA88/ S252 (formerly S102(2) FA 1972)
ICTA88/ SCH14/PARA6 (formerly para15(1) Schedule 4 FA 1976)ICTA88/ SCH14/PARA6 (formerly S4(1) ICTA 1970 as applied by para 15 Schedule 4 FA 1976)

Where the assessment to which the interest relates was the subject of an appeal, the provisions of TMA70/ S55 may apply. This will mean that the due and payable date is affected by the appeal. The table that follows gives the circumstances in which Section 55 applies together with the statutory authority.

CircumstancesStatutory Authority
Tax not the subject of an application to postpone paymentTMA70/ S55 (2)
NPA not settled by agreementTMA70/ S55 (6)
NPA settled by agreementTMA70/ S55 (7)
Tax previously postponed (or any increase) on determination of appeal by the CommissionersTMA70/ S55 (9)
Tax payable on settlement of appeal by agreementTMA70/S55 (9) applied by TMA70/ S54 (1)

The due dates for assessments under ICTA88/ SCH13 and ICTA88/ SCH16 (formerly Schedules 14 and 20 FA 1972) are not affected by an appeal. This provided for in paragraph 10 (3) of the respective schedules.

Where the assessment is the subject of an appeal determined after the normal due date, no statutory provision governs the date on which tax becomes payable, except as mentioned above. In practice, the due and payable date is taken as the date of determination of the appeal.

PreviousNext
PrivacyTerms