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Contents

Official guidance
Senior Accounting Officer Guidance

SAOG16000 · Tax compliance risk management process for customers managed by Large Business

  • SAOG16100 · Overview
  • SAOG16200 · Role of a Customer Compliance Manager
  • SAOG16210 · Support for a Customer Compliance Manager
  • SAOG16300 · Checking the timely notification of SAO details
  • SAOG16400 · Checking claim there is no SAO
  • SAOG16500 · Response to the non-provision of a certificate
  • SAOG16600 · Response to the provision of a certificate - general
  • SAOG16610 · Response to the provision of a certificate - the CCM expects a certificate and one is provided
  • SAOG16620 · Response to the provision of a certificate - the CCM does not expect a certificate but one is provided
  • SAOG16700 · Considering a certificate
  • SAOG16710 · Considering a certificate - specific situations
  • SAOG16720 · Re-considering a certificate once an error has been found
  • SAOG16800 · Disclosing a risk raised by a certificate to the company
  • SAOG16900 · Discussing and reviewing the main duty
  1. Tax compliance risk management process for customers managed by Large Business: contents
  2. Tax compliance risk management process for customers managed by Large Business: re-considering a certificate once an error has been found

SAOG16720 | Tax compliance risk management process for customers managed by Large Business: re-considering a certificate once an error has been found

From HM Revenue & Customs · Senior Accounting Officer Guidance

If the Customer Compliance Manager (CCM) finds an inaccuracy in the tax liability returned by a company, this in itself will not necessarily mean that the Senior Accounting Officer (SAO) certificate was inaccurate.

The CCM should investigate the reasons behind the inaccuracy through discussion with the company. It is possible that an inaccuracy will have arisen despite the company having appropriate tax accounting arrangements. In such a situation there is no need to look again at the SAO provisions, although of course other provisions may apply (Schedule 24 FA07 for example, see CH80000). However, the CCM must re-consider the certificate if they believe that the inaccuracy was connected with tax accounting arrangements that were not appropriate.

If, given the knowledge of the inaccuracy and the understanding as to how and why it arose, the CCM is satisfied that

  • the certificate that the SAO provided for the financial year is inaccurate and

  • in providing the certificate, the behaviour of the SAO was careless or deliberate

the CCM must follow the guidance at SAOG19000.

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