Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Specialist Investigations Operational Guidance

SIOG9200 · Settlement by agreement: consideration of penalties

  • SIOG9210 · General
  • SIOG9215 · Delegated authority for agreeing penalty loadings
  • SIOG9220 · Penalties - delay and the Human Rights Act
  • SIOG9230 · Consider the statutory penalties
  • SIOG9240 · Doubts on the penalty position
  • SIOG9250 · Fraudulent or negligent conduct
  • SIOG9255 · Under-assessment accepted where no return made
  • SIOG9260 · Commissioners of Revenue and Customs policy - penalty loading
  • SIOG9265 · Culpable tax
  • SIOG9270 · Culpable tax - examples
  • SIOG9275 · Distinction between culpable and unpaid tax
  • SIOG9280 · Penalty abatement - particular points
  1. Settlement by agreement: consideration of penalties: contents
  2. Settlement by agreement: consideration of penalties: consider the statutory penalties

SIOG9230 | Settlement by agreement: consideration of penalties: consider the statutory penalties

From HM Revenue & Customs · Specialist Investigations Operational Guidance

The Statutory penalty position must always be considered. For statute applying to periods before those to which Sch 24 FA 2007 and Sch 41 FA 2008 apply there is extensive advice in EM4500 and EM6050. For penalties under Sch 24 and Sch 41, see the Compliance Handbook.

We cannot seek a penalty in a negotiated settlement unless we could legitimately proceed along statutory lines if the negotiations failed.

PreviousNext
PrivacyTerms