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Official guidance
Tax Compliance Risk Management

TCRM3300 · The Business Risk Review (BRR+): Business Risk Review (BRR+) indicators: Contents

  • TCRM3310 · The Business Risk Review (BRR+): Business Risk Review (BRR+) indicators: General
  • TCRM3320 · The Business Risk Review (BRR+): Business Risk Review Assessment (BRR+) templates and narrative
  • TCRM3330 · Business Risk Review (BRR+): Business Landscape
  • TCRM3340 · The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Risk Assessing Across Taxes
  • TCRM3360 · The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Deciding whether a customer is Low Risk
  • TCRM3370 · The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Evidence to support the BRR+
  • TCRM3380 · The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Maintaining the audit trail
  1. The Business Risk Review (BRR+): Business Risk Review (BRR+) indicators: Contents
  2. The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Maintaining the audit trail

TCRM3380 | The Business Risk Review (BRR+): Business Risk Review (BRR+) Assessment indicators: Maintaining the audit trail

From HM Revenue & Customs · Tax Compliance Risk Management

CCMs must ensure that they maintain a robust audit trail to support the decision they have made following the BRR+. This should include:

  • the Customer Overview (CO) Document

  • a completed overall Business Risk Review (BRR+) template containing comments and risk ratings from each relevant tax regime

  • notes of discussions with specialists, including colleagues outside LB, where appropriate, to support the overall risk markings

  • notes of meetings with the customer to discuss and agree the BRR+ across all tax regimes

  • notes of meetings (at least yearly) with the customer to discuss the customer’s tax affairs and compliance

  • copies of the customer’s documented tax strategy (if there is one);

  • details of any intervention activity which has contributed to the CCM’s assessment of risk

  • any evidence of customer’s internal governance, including the SAO certificate and the results of any tax or audit specialist activity on the company’s accounting arrangements

  • for customers changing to or from Low Risk or High Risk, the BRR+ Customer Risk Category Amendment Template, as located in TCRM6000

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