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Contents

Official guidance
International Manual

INTM170000 · Double Taxation Relief: Anti avoidance legislation

  • INTM170010 · Outline
  • INTM170020 · Scope
  • INTM170030 · Trigger conditions
  • INTM170040 · Circumstances which can cause the legislation to take effect
  • INTM170050 · Effect of legislation
  • INTM170060 · Notices
  • INTM170070 · Procedure for notices
  • INTM170080 · Disputes
  • INTM170090 · Discovery notices
  • INTM170100 · Double Taxation Relief: Anti avoidance legislation Penalties
  • INTM170110 · Clearances
  • INTM170120 · General clearances
  • INTM170130 · Underlying tax
  • INTM170140 · Commencement
  1. Double Taxation Relief: Anti avoidance legislation: contents
  2. Double Taxation Relief: Anti avoidance legislation: Discovery notices

INTM170090 | Double Taxation Relief: Anti avoidance legislation: Discovery notices

From HM Revenue & Customs · International Manual

Once the period in which an enquiry into a return may be made has elapsed or an enquiry has been closed, HMRC may issue a notice only if either:

  • the absence of a notice was due to deliberate conduct on the part of the person to whom the notice is issued, a person acting on their behalf, or their partner; or

  • HMRC could not have been reasonably expected to realise that a notice should have been issued on the basis of information supplied before the enquiry period lapsed.

In the above circumstances, HMRC may issue a notice and also a discovery assessment to give effect to the notice. The notice may be varied until the discovery assessment becomes final.

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