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Contents

Official guidance
Enquiry Manual

EM6300 · Contract Settlements: Letters of Offer

  • EM6301 · Importance of Correctness
  • EM6302 · Contractual errors
  • EM6303 · General
  • EM6305 · Penalty-Only Offers
  • EM6306 · Suspended Penalties
  • EM6308 · Default Interest Clause
  • EM6310 · Checklist
  • EM6320 · Undated
  • EM6321 · ‘Without Prejudice’
  • EM6325 · Correction of Errors
  • EM6326 · Taxpayer's Own Draft
  • EM6327 · Delay in Acceptance
  • EM6335 · Detail - General
  • EM6336 · Detail - Consideration
  • EM6337 · Detail - Duties Included
  • EM6338 · Detail - default or failure
  • EM6339 · Detail - Interest, Penalties and Surcharge
  • EM6340 · Detail - Amounts paid and set off
  • EM6341 · Detail - Date of Payment
  • EM6342 · Detail - exclusion clauses
  • EM6343 · Contract Settlements: Letters of Offer
  • EM6350 · Detail - signature
  • EM6351 · Detail - Interest Clause
  • EM6355 · Detail - Partnerships
  • EM6356 · Detail - Partnerships Example
  • EM6360 · Detail - Married Women up To 5 April 1990
  1. Contract Settlements: Letters of Offer: Contents
  2. Contract Settlements: Letters of Offer: Detail - Partnerships Example

EM6356 | Contract Settlements: Letters of Offer: Detail - Partnerships Example

From HM Revenue & Customs · Enquiry Manual

The guidance about contract settlements at EM6000+ only relates to direct tax. You must never include VAT or VAT penalties in a contract settlement.

The offer from the partnership will include

  • tax, including higher rate tax, on partnership profits, and

  • Class 4 NIC chargeable on the partnership.

The offer from each individual partner will include

  • tax on personal income, including partnership investment income, and

  • capital gains tax, including tax on partnership gains, and

  • Class 4 NIC not chargeable on the partnership.

Example

  • Mrs A and Mrs B were in a partnership from May 1988.

  • Mr A and Mr B became partners in September 1993.

  • Mr A retired in June 1995. A continuation election is made.

  • The investigation established omissions of

  • trading profits from May 1988 to 5 April 2000

  • property income from Mr A and Mr B for the same period

  • a chargeable gain by Mrs B in June 1994.

Seven separate offers are required, as follows

  • Mrs A and Mrs B for 1988/89 to 1993/94 (September 1993)

  • Mrs A, Mrs B, Mr A and Mr B for 1993/94 (September 1993) to 1995/96 (June 1995)

  • Mrs A, Mrs B and Mr B for 1995/96 (June 1995) and 1996/97

  • Mr A on property income for 1988/89 to 1999/2000

  • Mr B on

  • property income for 1988/89 to 1999/2000

  • partnership share for 1997/98 to 1999/2000

  • Mrs A on partnership share for 1997/98 to 1999/2000

  • Mrs B on

  • partnership share for 1997/98 to 1999/2000

  • chargeable gain for 1994/95

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