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Official guidance
Fraud Civil Investigation Manual

FCIM105000 · Where CDF offer is made up to 29 June 2014: the initial meeting

  • FCIM105010 · Purpose of the initial meeting
  • FCIM105020 · Location of meetings
  • FCIM105030 · Who should attend
  • FCIM105035 · Time to be allowed for meetings
  • FCIM105040 · Breaks to be taken in a meeting
  • FCIM105045 · Taxpayers with language or health difficulties
  • FCIM105050 · Conduct of meetings and formal requests for information
  • FCIM105055 · Advice on confidentiality
  • FCIM105060 · Additional unexpected disclosure of fraud made at a meeting
  • FCIM105065 · Questions to be put to the taxpayer concerning their business affairs
  • FCIM105070 · Questions to be asked concerning the taxpayer’s private affairs
  • FCIM105075 · Conducting an investigation by post
  • FCIM105080 · Visiting the taxpayer’s premises
  • FCIM105085 · Benefits of having an HMRC accountant present when visiting business premises
  1. Where CDF offer is made up to 29 June 2014: the initial meeting: contents
  2. Where CDF offer is made up to 29 June 2014: the initial meeting: questions to be put to the taxpayer concerning their business affairs

FCIM105065 | Where CDF offer is made up to 29 June 2014: the initial meeting: questions to be put to the taxpayer concerning their business affairs

From HM Revenue & Customs · Fraud Civil Investigation Manual

Once an Outline Disclosure has been made, where relevant, the Investigator should request a meeting to discuss the Outline Disclosure and, question the taxpayer on his or her business affairs. This is to understand the context in which the disclosure has been made, to explore the possibility of other tax risks and to identify potential third party enquiries to enable the disclosure to be tested should the process breakdown.

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