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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM50000 · Procedure

  • SDLTM50100 · Duty to deliver a land transaction return FA03/S76: The form
  • SDLTM50200 · Registration of land transactions FA03/S79
  • SDLTM50250 · Completion following Substantial Performance of agreement for sale
  • SDLTM50260 · Completion following Substantial Performance of agreement for lease
  • SDLTM50290 · Further Returns - Overview
  • SDLTM50300 · Adjustment where contingency ceases or consideration is ascertained FA03/S80
  • SDLTM50310 · Adjustment where contingency ceases or consideration ascertained FA03/S80 -special cases
  • SDLTM50320 · Uncertain rent becomes certain - FA03/Sch17A/Para8
  • SDLTM50350 · Later linked transaction - Section 81A Finance Act 2003
  • SDLTM50400 · Further land transaction return where relief is withdrawn FA03/S81
  • SDLTM50410 · Alternative finance arrangements: Further return where relief withdrawn
  • SDLTM50450 · Leases that continue after a fixed term - FA03/Sch17A/Para3
  • SDLTM50500 · Loss, destruction of or damage to a land transaction return FA03/S82
  • SDLTM50550 · Lease for indefinite term - FA03/Sch17A/Para4
  • SDLTM50600 · Formal requirements as to assessments, penalty determinations etc FA03/S83
  • SDLTM50700 · Payment of Stamp Duty Land Tax FA03/S86
  • SDLTM50800 · Interest on repayment of tax overpaid FA03/S89
  • SDLTM50900 · Deferring payment in case of contingent or uncertain consideration FA03/S90: when application may be made
  • SDLTM50910 · Deferring payment in case of contingent or uncertain consideration FA03/S90: how the application is to be made
  • SDLTM50920 · Deferring payment in case of contingent or uncertain consideration FA03/S90: Special rules for carrying out of works and provision of services
  • SDLTM50930 · Deferring payment in case of contingent or uncertain consideration FA03/S90: Appeal against HM Revenue & Customs refusal
  • SDLTM50940 · Deferring payment in case of contingent or uncertain consideration FA03/S90: Terms of acceptance
  • SDLTM50950 · Notification of additional events taking place
  • SDLTM51000 · Applications for Non-Statutory Clearances
  • SDLTM52000 · Relief in case of a double assessment FA03/SCH10/PARA33
  • SDLTM54000 · Overpayment Relief: commencement and time limits
  • SDLTM54010 · Overpayment relief: Legislation
  • SDLTM54100 · Overpayment relief: Exclusions
  • SDLTM54110 · Overpayment relief: Exclusions: Case A mistake concerning a relief or election
  • SDLTM54120 · Overpayment relief: Exclusions: Case B mistake concerning a relief or election
  • SDLTM54130 · Overpayment relief: Exclusions: Case C other relief out of time
  • SDLTM54140 · Overpayment relief: Exclusions: Case D grounds of claim considered on appeal
  • SDLTM54150 · Overpayment relief: Exclusions: Case E grounds of claim not considered on appeal
  • SDLTM54160 · Overpayment relief: Exclusions: Case F HMRC proceedings
  • SDLTM54170 · Overpayment relief: Exclusions: Case G practice generally prevailing
  • SDLTM51010 · Pre-transaction and post-transaction rulings under CAP1 and non-statutory business clearances (NSBC) regime : Timing of request
  1. Procedure: contents
  2. Overpayment relief: Exclusions: Case C other relief out of time

SDLTM54130 | Overpayment relief: Exclusions: Case C other relief out of time

From HM Revenue & Customs · Stamp Duty Land Tax Manual

SDLTM54140 explains that if there is another formal means of correcting a tax liability, the person must use this instead of claiming overpayment relief.

If a person knew, or ought reasonably to have known, that they had some other means of correcting an overpayment or over-assessment, they cannot claim overpayment relief if they failed to use those other means within the relevant time limit.

You must judge on a case by case basis whether a person ought reasonably to have known that they

  • had made a mistake, and

  • could obtain a repayment or correct an excessive assessment.

You should not necessarily refuse overpayment relief merely because the person could have realised that they should do something about the matter sooner. You should consider whether, taking into account their ability and circumstances, the person

  • took reasonable care to ensure they paid the right amount of tax, and

  • had any reason to suppose that they might have overpaid.

Persons are not required to take advice on every aspect of their tax affairs, nor can we expect them to avoid every possible mistake. However, they should take care with their tax affairs, try to be sure of the facts and seek HMRC or independent professional advice if they have any significant uncertainty.

If a person realises that they have overpaid or that an assessment is excessive but they are uncertain what they might do about the mistake, we would normally expect them to seek advice.

We do expect a person to take note of any advice or guidance that we or their advisors have given them.

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