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Official guidance
Hydrocarbon Oils Strategy

HCOS2000 · Registered Dealers in Controlled Oils (RDCO)

  • HCOS2025 · The RDCO Scheme: background
  • HCOS2050 · Visits to RDCOs: general
  • HCOS2075 · Approach to visits
  • HCOS2100 · Assurance process
  • HCOS2125 · Health and safety
  • HCOS2150 · Records
  • HCOS2175 · Types of visit
  • HCOS2200 · Pre-approval visits
  • HCOS2225 · Preparation
  • HCOS2250 · Basic checks
  • HCOS2275 · Business case
  • HCOS2300 · Routine assurance visits: visit objectives
  • HCOS2325 · Preparation
  • HCOS2350 · Basic checks
  • HCOS2375 · Examining records
  • HCOS2400 · Registered Dealers in Controlled Oils (RDCOs): referral procedures and transaction verification
  • HCOS2425 · RDCO visits requiring specified action
  • HCOS2450 · Visit reports
  • HCOS2475 · Dealing with non-compliance: general
  • HCOS2500 · Civil penalties
  • HCOS2525 · Failure to render returns and / or pay the duty on supplies of red diesel for use in private pleasure craft
  • HCOS2550 · Penalty letter for failure to render RDCO returns and / or pay the duty on supplies of red diesel for use in private pleasure craft
  • HCOS2575 · Applying multiple penalties
  • HCOS2600 · The role of the issuing officer
  • HCOS2625 · Incomplete/inaccurate returns
  • HCOS2650 · Duty of care failings
  • HCOS2675 · Duty of care: interviewing the trader
  • HCOS2700 · Duty of care: testing traders' controls
  • HCOS2725 · Conditions of approval
  • HCOS2750 · Withdrawal of approval
  • HCOS2775 · Assessments
  • HCOS2800 · RDCO law, contraventions and penalties: what must I look for when interpreting the law?
  • HCOS2825 · RDCO law
  • HCOS2850 · Contraventions attracting penalties
  • HCOS2875 · Oil distributor's sales records - extraction of information
  • HCOS2900 · Flowcharts - verification of transactions between RDCOs
  1. Registered Dealers in Controlled Oils (RDCO): contents
  2. Registered Dealers in Controlled Oils (RDCO): failure to render returns and / or pay the duty on supplies of red diesel for use in private pleasure craft

HCOS2525 | Registered Dealers in Controlled Oils (RDCO): failure to render returns and / or pay the duty on supplies of red diesel for use in private pleasure craft

From HM Revenue & Customs · Hydrocarbon Oils Strategy

The Departmental Trader Register (DTR) is intended to automatically identify RDCOs who have failed to render their return, and the system should automatically send a reminder / warning letter. In addition, the Mineral Oil Reliefs Centre (MORC) may ask Large Business (LB) to contact the trader direct and issue a warning letter. From then on, a late return will incur an automatic penalty, which MORC will issue. They will note these actions on DTR.

If any such penalties remain unpaid by the due date, MORC will request a visit to impress upon the trader the need to supply all outstanding returns and pay any penalties. At the same time, the trader’s records should be examined, as the trader has demonstrated non-compliance and should therefore be considered high risk. If, after this visit, non-compliance continues, revocation of RDCO approval will be considered by MORC.

RDCO suppliers of red diesel to private pleasure craft: Failure to render returns and payments

DTR will automatically identify RDCOs who have failed to render their payment return and / or payment if they supply red diesel for use in private pleasure craft and the system will automatically issue a reminder / warning letter which will be sent out by MORC. If a return is still not received, MORC will refer the case to Customer Compliance (ISBC) / LB for follow up action.

The trader should be contacted to establish why the return and / or payment has not been rendered but checks should first be made on RDCO monitor to confirm non-receipt.

If the trader confirms that the return and / or payment has in fact not been rendered:

  • consider whether or not the trader has a reasonable excuse (see HCOS2575), and

  • offer advice or assistance where the trader has genuine difficulty complying.

Unless reasonable excuse can be demonstrated you should consider issuing a penalty.

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