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Official guidance
Technical Teams Operational Guidance

TTOG11600 · Civil Investigation of Fraud (Code 9): historical record: managing the disclosure process

  • TTOG11610 · General
  • TTOG11620 · Action at the opening meeting when a disclosure is indicated in response to formal questions
  • TTOG11630 · Commissioning the disclosure report
  • TTOG11640 · Nature of the disclosure report
  • TTOG11650 · Who is to prepare the disclosure report
  • TTOG11660 · Timescale for submission of disclosure report
  • TTOG11670 · Reluctance to instruct an adviser to prepare the disclosure report
  • TTOG11680 · Questions to put to the taxpayer concerning business affairs
  • TTOG11690 · Request for access to accountants link papers
  • TTOG11700 · Business side papers
  • TTOG11710 · Questions to be asked concerning the taxpayer's private affairs
  • TTOG11720 · Breakdown in the disclosure process
  • TTOG11730 · Action at the opening meeting when no disclosure is indicated in response to formal questions
  • TTOG11735 · - Civil Investigation of Fraud (Code 9): historical record: reporting denials and non-co-operation
  • TTOG11740 · Payments on account
  • TTOG11750 · Scoping meetings and progress meetings
  1. Civil Investigation of Fraud (Code 9): historical record: managing the disclosure process: contents
  2. Civil Investigation of Fraud (Code 9): historical record: managing the disclosure process: who is to prepare the disclosure report

TTOG11650 | Civil Investigation of Fraud (Code 9): historical record: managing the disclosure process: who is to prepare the disclosure report

From HM Revenue & Customs · Technical Teams Operational Guidance

This can be a difficult area. The content of a disclosure report is the responsibility of the taxpayer who is making the disclosure. It follows that it is for the taxpayer to decide which professional adviser should undertake the preparatory investigation work and bring matters together in a disclosure report.

It is in everyone’s interest however that this work is undertaken by someone who is competent and who has the capacity to complete the matter within an acceptable timescale. The taxpayer is ultimately responsible for deciding who will prepare the disclosure report.

It is never appropriate for an Investigator, even when pressed, to mention any firms of accountants or advisers as being recommended to prepare an investigation report for a taxpayer.

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