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Official guidance
Tax Compliance Risk Management

TCRM3400 · The Business Risk Review (BRR+): Revisiting the Business Risk Review (BRR+): Contents

  • TCRM3410 · The Business Risk Review (BRR+): Revisiting the BRR+: Low Risk customers
  • TCRM3420 · The Business Risk Review (BRR+): Revisiting the BRR+: Customers who are not Low Risk
  • TCRM3430 · The Business Risk Review (BRR+): Best Practice and Governance of BRR+ Status Reviews
  1. The Business Risk Review (BRR+): Revisiting the Business Risk Review (BRR+): Contents
  2. The Business Risk Review (BRR+): Best Practice and Governance of BRR+ Status Reviews

TCRM3430 | The Business Risk Review (BRR+): Best Practice and Governance of BRR+ Status Reviews

From HM Revenue & Customs · Tax Compliance Risk Management

Internal checks must be carried out before the Risk status is shared with the customer. The Tax Specialists and CCM should ensure the narrative included within the BRR+ template issued to the customer meets the expectations – in both content and presentation - as set out in TCRM3320

The CCM responsible for the customer must review the individual regime risk ratings to ensure consistency and accurate assessment. Any disagreements must be discussed and/or escalated to the regime or CCM Tax Professional Manager (TPM).

It is mandatory that before the BRR+ documentation is issued to the customer this must be subject to a ‘second pair of eyes’ peer review by another CCM.

Additionally, where the BRR+ status of a customer changes either from or to Low Risk, or from or to High Risk the move must be agreed by the BRR+ Countersigning Officer through the completion of the ‘BRR+ Customer Risk Category Amendment Template’ (TCRM6000). The BRR+ Countersigning Officer is the CCM Tax Professional Manager or an independent CCM.

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