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Contents

Official guidance
Securities Guidance

SG15600 · Introduction and the law: the law on security: Insurance Premium Tax

  • SG15605 · Power to require security for the payment of Insurance Premium Tax
  • SG15610 · Meaning of 'registrable person'
  • SG15615 · Meaning of 'taxable insurance contracts'
  • SG15620 · Registrable person’s right to a review
  • SG15625 · Time limits for review completion
  • SG15630 · Registrable person’s right to appeal to an independent tribunal following notification of review conclusion
  • SG15635 · Registrable person’s right to appeal to an independent tribunal
  • SG15640 · Power to determine the amount and manner of security
  • SG15645 · Power to include existing debt in the quantum
  • SG15650 · Penalty for failure to provide security
  • SG15655 · Compensation orders against convicted persons
  • SG15660 · Power to proceed against company directors, officers, shadow directors, etc
  • SG15665 · Evidence by certificate
  • SG15670 · Power to direct a registrable person to make monthly returns
  1. Introduction and the law: the law on security: Insurance Premium Tax: contents
  2. Introduction and the law: the law on security: Insurance Premium Tax: registrable person’s right to a review

SG15620 | Introduction and the law: the law on security: Insurance Premium Tax: registrable person’s right to a review

From HM Revenue & Customs · Securities Guidance

Under the provisions of section 59A of the Finance Act 1994 HMRC must offer a review of the decision to require security.

59A Offer of review

(1) HMRC must offer a person (P) a review of a decision that has been notified to P if an appeal lies under section 59 in respect of the decision.

(2) The offer of the review must be made by notice given to P at the same time as the decision is notified to P.

(3) This section does not apply to the notification of the conclusions of a review.

59C Review by HMRC

HMRC must review a decision if -

(a) they have offered a review of the decision under section 59A, and

(b) P notifies HMRC accepting the offer within 30 days from the date of the document containing the notification of the offer.

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