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Contents

Official guidance
Self Assessment Manual

SAM61000 · Interest, penalties and surcharge: penalties

  • SAM61001 · Introduction
  • SAM61010 · FAP: advising and warning the taxpayer about
  • SAM61020 · Fixed automatic penalties: automatic imposition of
  • SAM61030 · Fixed automatic penalty record: amending the
  • SAM61031 · Fixed automatic penalty record: amending the (Action Guide menu)
  • SAM61032 · Reapplying FAP after cancellation: current year minus 1 (CY-1) (Action Guide)
  • SAM61033 · Reapplying FAP after cancellation: current year minus 2 (CY-2) (Action Guide)
  • SAM61040 · Fixed automatic penalties: deceased cases
  • SAM61050 · Fixed automatic penalties: late issued returns
  • SAM61060 · Appeals against fixed automatic penalties
  • SAM61061 · Appeals against fixed automatic penalties (Action Guide menu)
  • SAM61062 · FAP: reasonable excuse appeal against (Decision Makers Action Guide)
  • SAM61063 · Appeals against non-capping of FAP (Action Guide)
  • SAM61064 · Solicitor’s Office and Legal Services
  • SAM61080 · Daily penalties: consider raising a
  • SAM61090 · Daily penalties: procedures for applying
  • SAM61100 · FAP and daily penalties: interaction between
  • SAM61110 · Tax-geared penalties
  • SAM61200 · Introduction for 2010-11 returns onwards
  • SAM61210 · Advising and warning the taxpayer about penalties for 2010-11 returns onwards
  • SAM61220 · Late filing fixed penalty for 2010-11 returns onwards
  • SAM61230 · Late filing daily penalties for 2010-11 returns onwards
  • SAM61231 · Reducing daily penalties
  • SAM61232 · Reducing a daily penalty (Action Guide)
  • SAM61240 · Late filing (tax geared) penalties for 2010-11 returns onwards
  • SAM61250 · Late payment penalties for 2010-11 returns onwards
  • SAM61260 · Cancelling a penalty for 2010-11 returns onwards
  • SAM61261 · Cancelling a penalty for tax years 2010-2011 onwards (Action Guide)
  • SAM61270 · Deceased cases
  • SAM61280 · Clerically raising penalties for years prior to CY-4
  • SAM61281 · Manually raising and amending a penalty (Action Guide)
  • SAM61290 · Appeals against late filing penalties
  • SAM61310 · Appeals against late payment penalties
  • SAM61330 · Solicitor’s Office and Legal Services
  • SAM61340 · Control penalties
  • SAM61341 · Control penalties- inhibiting future penalties (for tax years 2010-2011 onwards) Action Guide
  • SAM61350 · Effects of amendments to relevant date for interest
  • SAM61351 · Deferring a late payment penalty trigger date (Action Guide)
  • SAM61360 · Effects of unlogging a return
  • SAM61370 · Effects of amending a return received date
  • SAM61380 · Time to pay (TTP) and late payment penalties
  • SAM61381 · Referring an appeal to debt management and banking - time to pay cases (Action Guide)
  • SAM61382 · Rejecting an appeal - time to pay cases (Action Guide)
  • SAM61390 · Late payment penalty trigger date
  1. Interest, penalties and surcharge: penalties: contents
  2. Interest, penalties and surcharge: penalties: daily penalties: consider raising a

SAM61080 | Interest, penalties and surcharge: penalties: daily penalties: consider raising a

From HM Revenue & Customs · Self Assessment Manual

This guidance refers to tax returns received for 2009-10 and earlier. For further information regarding the new rules for the tax years 2010-11 and later, see SAM61200 onwards.

Where a return has not been filed by the filing date SA legislation allows for the Department to seek a direction for daily penalties by Tribunal. Once that direction has been given we may impose daily penalties at a rate not exceeding £60 per day. In partnership cases up to £60 per day may be imposed on each partner. Such action should only be undertaken with the approval of the authorised officer (see IH8304) who should also set the daily rate when approving action.

But as a general rule it would be exceptional to raise daily penalties without having firstly considered raising a Revenue determination. Consider seeking daily penalties where

  • Very large amounts of tax are at risk

Or

  • 2 or more returns are still outstanding and determinations have been made

Or

  • There are particular pressing reasons for requiring early submission of the return

Or

  • There has been persistent failure to submit a particular return

Or

  • In partnership cases, the returns of all the individual partners have been filed, and any amounts due (including penalties) from the individual partners have been paid or are the subject of enforcement action

Or

  • In PAYE cases, two or more returns are outstanding and there is no basis for raising a determination

Some of these cases will be selected by the office responsible for Technical work in the normal course of day to day work on the basis of information received. Officers in the Recovery Office will also identify cases.

All cases need to be reviewed critically and a decision made whether or not they are appropriate for daily penalty action before the approval of the authorised officer.

Where a case has been sent to Tribunal to seek a direction for daily penalties, the office responsible for Technical work should set the Record Daily Penalties signal using the function AMEND FIXED PENALTIES. (See subject ‘Daily Penalties: Procedures for Applying’ (SAM61090) for further details about applications for daily penalties and subject ‘Fixed Automatic Penalties: Automatic Imposition of’ (SAM61020) for details of when the second fixed penalty is charged).

Note: Where this signal is present on the taxpayer’s record no further fixed automatic penalties will be charged (including the first penalty if this has not yet been imposed) - although those already charged will remain.

Record daily penalties on the taxpayer’s record using IDMS function RAISE DAILY PENALTY. If you need to amend the figure at a later date use SA function MAINTAIN SUNDRY CHARGE and advise the taxpayer.

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