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Contents

Official guidance
International Exchange of Information Manual

IEIM101000 · Exchange of Information: Key Concepts

  • IEIM101200 · Legal gateways
  • IEIM101220 · Jurisdictions that the UK can exchange with
  • IEIM101300 · Foreseeable relevance
  • IEIM101350 · Foreseeable relevance and ‘Fishing expeditions’
  • IEIM101400 · Competent Authorities
  • IEIM101500 · Reciprocity 
  • IEIM101600 · Confidentiality
  • IEIM101700 · Normal course of administration
  • IEIM101800 · Use in public court
  1. Exchange of Information: Key Concepts
  2. Exchange of Information: Key concepts: Legal gateways

IEIM101200 | Exchange of Information: Key concepts: Legal gateways

From HM Revenue & Customs · International Exchange of Information Manual

In order for HMRC to disclose information to another tax authority, we must have a legal gateway. These gateways are based on exchange agreements signed between the UK and others, and brought into law through Regulations (IEIM200010).

The UK has an extensive network of bilateral Double Taxation Agreements (IEIM210100) and Tax Information Exchange Agreements (IEIM210200), which provide for exchange of information.

The UK is also a party to a multilateral agreement, whereby many jurisdictions agree through the same instrument to exchange with all other parties:

  • The OECD/Council of Europe Multilateral Convention on Mutual Administrative Assistance in Tax Matters. This agreement has been ratified by more than 140 jurisdictions, and the number is increasing (IEIM210300).

The concepts of foreseeable relevance (IEIM101300), and exchange being done by a Competent Authority (IEIM101400) apply to this exchange agreement.

There is more guidance on the legal framework at IEIM200000+.

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