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Official guidance
Technical Teams Operational Guidance

TTOG11400 · Civil Investigation of Fraud (Code 9): historical record: the opening meeting

  • TTOG11410 · Purpose of the opening meeting
  • TTOG11420 · Planning the opening meeting
  • TTOG11430 · Location
  • TTOG11440 · Who should attend CIF meeting
  • TTOG11450 · Time to be allowed for the opening CIF meeting
  • TTOG11460 · Breaks to be taken in a CIF opening meeting
  • TTOG11470 · Taxpayers with language or health difficulties
  • TTOG11480 · Conduct of opening meeting
  • TTOG11490 · The inducement
  • TTOG11500 · The formal questions
  • TTOG11510 · Inviting the taxpayer's response to the formal questions
  • TTOG11520 · Immediate response not forthcoming
  • TTOG11530 · Advice on confidentiality
  • TTOG11540 · Conducting CIF procedure by post
  • TTOG11550 · Visiting the taxpayer’s premises
  • TTOG11560 · Benefits of having an SI Accountant present when visiting business premises
  1. Civil Investigation of Fraud (Code 9): historical record: the opening meeting: contents
  2. Civil Investigation of Fraud (Code 9): historical record: the opening meeting: the inducement

TTOG11490 | Civil Investigation of Fraud (Code 9): historical record: the opening meeting: the inducement

From HM Revenue & Customs · Technical Teams Operational Guidance

(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

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  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

  • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

    • (This content has been withheld because of exemptions in the Freedom of Information Act 2000)

At the opening meeting, you must make it clear to the taxpayer that if the conduct leading to the irregularities is still continuing, they must stop that conduct immediately and ensure that any disclosure covers all tax irregularities up to the date of the disclosure report. Failure to do so may adversely affect the reduction of any penalty that may be imposed if culpability is proved. If you have concerns over the risk to revenue caused by suspicions of on-going fraud and a lack of evidence of co-operation, you must take early steps to ensure that the disclosure process is managed robustly and in line with the guidance in TTOG11600 ‘Managing the disclosure process’.

Where the taxpayer acknowledges there are tax arrears, within his/her answers to questions, but does not admit to knowing it at the time, this is not to be seen as a refusal to adopt the procedures.

The disclosure process should continue and the taxpayer should be encouraged to provide a detailed and truthful explanation as to how the arrears arose. The most important thing is to be satisfied with the accuracy of the explanation provided. If you are not satisfied then you must conduct reasonable checks to test it.

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