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Official guidance
Stamp Taxes on Shares Manual

STSM141000 · Stamp Duty and Stamp Duty Reserve Tax administration: Stamp Duty administration

  • STSM141010 · Stamp Duty and SDRT Administration: Stamp Duty Administration: HMRC Stamp Taxes
  • STSM141020 · Stamp Duty and SDRT Administration: Stamp Duty Administration: payment and denoting of Stamp Duty
  • STSM141030 · Stamp Duty and SDRT Administration: Stamp Duty Administration: section 14 SA1891 - duly stamped
  • STSM141040 · Stamp Duty and SDRT Administration: Stamp Duty Administration: calculating the duty payable
  • STSM141050 · Unstamped instruments - Stamp Duty Reserve Tax implications
  • STSM141060 · Stamp Duty and SDRT Administration: Stamp Duty Administration: documents in languages other than English
  • STSM141070 · All facts and circumstances to be set out in instruments
  • STSM141080 · Stamp Duty time limits
  1. Stamp Duty and Stamp Duty Reserve Tax administration: Stamp Duty administration: contents
  2. Stamp Duty and SDRT Administration: Stamp Duty Administration: calculating the duty payable

STSM141040 | Stamp Duty and SDRT Administration: Stamp Duty Administration: calculating the duty payable

From HM Revenue & Customs · Stamp Taxes on Shares Manual

The Stamp Duty chargeable on an instrument of transfer must be carefully considered and must always be calculated in line with the relevant legislation.

If a customer objects to HMRC’s calculation and requires a more formal opinion, adjudication (see STSM012020) must be requested. Any person may request HMRC formally adjudicate an instrument in respect of the amount of Stamp Duty (section 12 Stamp Act 1891).

A person who is dissatisfied with the result of a formal adjudication may appeal the decision (section 13 SA1891), but only after the duty and any interest and/or penalty has been paid.

Any appeal must be made to the High Court (section 13B SA1891) unless it relates only to a penalty for late stamping in which case it is to the First-tier Tribunal (section 13A SA1891).

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