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Contents

Official guidance
Self Assessment Manual

SAM10000 · Appeals, postponements and reviews: appeals

  • SAM10001 · Introduction
  • SAM10010 · Who can make an appeal?
  • SAM10020 · What constitutes a valid appeal?
  • SAM10030 · Grounds of appeal
  • SAM10040 · Who should handle an appeal?
  • SAM10041 · Who should handle an appeal? (Action Guide)
  • SAM10050 · What SA items are subject to appeal?
  • SAM10060 · Handling an appeal against a charge based item
  • SAM10061 · Handling an appeal against a charge based item (Action Guide)
  • SAM10070 · Handling an appeal against a non charge based item
  • SAM10071 · Handling an appeal against a non charge based item (Action Guide)
  • SAM10080 · Appeal against a late filing penalty
  • SAM10081 · Appeal against a fixed automatic penalty for tax years 2009-10 and earlier, and late filing penalty and late payment penalty for tax years 2010-11 onwards (Action Guide menu)
  • SAM10082 · FAP: reasonable excuse appeal against (Action Guide)
  • SAM10083 · Appeal against the non-capping of a FAP for tax years 2009-10 and earlier (Action Guide)
  • SAM10084 · Late filing and payment penalties for tax years 2010-11 onwards (Action Guide)
  • SAM10090 · Reasonable excuse
  • SAM10100 · Appeal against misc. penalties / surcharge (for tax years 2009-10 and earlier)
  • SAM10110 · Appeal against a revenue assessment
  • SAM10120 · Appeal against a revenue amendment
  • SAM10130 · Appeals on behalf of a partnership
  • SAM10150 · Amending appeal details
  • SAM10160 · Settling an appeal
  • SAM10161 · Settling an appeal (Action Guide)
  • SAM10170 · W015 open appeals work list
  • SAM10180 · Appeal acknowledgement form
  • SAM10190 · Appeals, postponements and reviews: objections
  1. Appeals, postponements and reviews: appeals: contents
  2. Appeals, postponements and reviews: appeals: settling an appeal

SAM10160 | Appeals, postponements and reviews: appeals: settling an appeal

From HM Revenue & Customs · Self Assessment Manual

An appeal against an SA item may be settled by

  • Agreement with a decision maker following a review

Or

  • By determination by a tribunal

Following the determination of an appeal

  • The amount of the charge against which the appeal was made may need amendment

  • The decision maker will need to close the appeal using function MAINTAIN APPEAL

  • Any formal standover may need to be reduced to NIL if the charge is not amended

  • Any informal standover should be reduced to NIL

  • The taxpayer should, if appropriate, be advised that the appeal has been agreed under S54 TMA 1970

For further information regarding action to take, see the ‘Settling an Appeal (Action Guide)’ (SAM10161).

Where the decision on the customers appeal is not in their favour, HMRC offer a review or, in some cases, the customer may ask for a review. For further information, see subject ‘Appeals, postponements and reviews’ SAM12000 onwards

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