Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Senior Accounting Officer Guidance

SAOG17000 · Tax compliance risk management process for customers managed by Mid-sized Business

  • SAOG17100 · Overview
  • SAOG17200 · Role of the Mid-sized Business Customer Engagement Team (CET) or Caseworker
  • SAOG17210 · Support for a Caseworker
  • SAOG17300 · Checking the timely notification of SAO details
  • SAOG17400 · Checking claim there is no SAO
  • SAOG17500 · Response to the non-provision of a certificate
  • SAOG17600 · Response to the provision of a certificate - general
  • SAOG17610 · Response to the provision of a certificate - the Customer Engagement Team expects a certificate and one is provided
  • SAOG17620 · Response to the provision of a certificate - the Customer Engagement Team does not expect a certificate but one is provided
  • SAOG17700 · Considering a certificate
  • SAOG17710 · Considering a certificate - specific situations
  • SAOG17720 · Re-considering a certificate once an error has been found
  • SAOG17800 · Disclosing a risk raised by a certificate to the company
  • SAOG17900 · Discussing and reviewing the main duty
  1. Tax compliance risk management process for customers managed by Mid-sized Business: contents
  2. Tax compliance risk management process for customers managed by Mid-sized Business: overview

SAOG17100 | Tax compliance risk management process for customers managed by Mid-sized Business: overview

From HM Revenue & Customs · Senior Accounting Officer Guidance

Where possible, HMRC relies on large companies’ own governance, systems and processes to manage risks to tax compliance. The Senior Accounting Officer (SAO) provisions fully fit with this approach. The provisions make the SAO of a qualifying company responsible for ensuring that the company establishes and maintains appropriate tax accounting arrangements that allow the tax liabilities of the company to be calculated accurately in all material respects.

Whenever the Mid-sized Business Customer Compliance Resolution Team (CCRT) or Caseworkers engages with a large company or group they must consider whether and how the group and the SAO have complied with the SAO provisions. To do this the CCRT or Caseworker should

  • review whether any companies within the group meet the conditions to be a qualifying company and are therefore subject to the SAO provisions, see SAOG11000

  • if the group contains a qualifying company or companies, check whether

  • the group or company has given a timely notification of the SAO details to HMRC, see SAOG17300

  • the SAO has given a timely certificate to HMRC, see SAOG17500 and SAOG17600

  • consider the nature and content of the certificate, see SAOG17700

  • discuss any risks raised in the SAO certificate with the company, see SAOG17800

  • consider in the light of these and wider risk assessment issues whether the SAO has complied with the main duty, see SAOG17900, and/or has submitted an inaccurate certificate, see SAOG17720.

The majority of Mid-sized businesses will not have a Customer Compliance Manager (CCM) allocated but may meet the conditions to be a qualifying company, see SAOG11000. If the CCRT or Caseworker receives a notification or an SAO certificate they should follow the guidance in SAOG17200 to SAOG17900.

Some Mid-sized Businesses may have a temporary Customer Compliance Manager (tCCM) allocated and may meet the conditions to be a qualifying company, see SAOG11000. If the tCCM receives a notification or SAO certificate, they will share this with the CCRT who will follow the guidance in SAOG17200 to SAOG17900, with input from the tCCM.

Next
PrivacyTerms