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Official guidance
Technical Teams Operational Guidance

TTOG4400 · Investigation work: Code of practice 9: obtaining the disclosure report

  • TTOG4405 · Investigation work: Code of practice 9: disclosure reports
  • TTOG4410 · Progress meetings
  • TTOG4415 · Delays in submission
  • TTOG4420 · Investigation work: Code of practice 9: investigation needed whilst disclosure awaited
  • TTOG4425 · Investigation work: Code of practice 9: protective assessments
  1. Investigation work: Code of practice 9: obtaining the disclosure report: contents
  2. Investigation work: Code of practice 9: disclosure reports

TTOG4405 | Investigation work: Code of practice 9: disclosure reports

From HM Revenue & Customs · Technical Teams Operational Guidance

Most Disclosure Reports arise in Code 9 cases when commissioned by a taxpayer under the Contractual Disclosure Facility (CDF). See TTOG10040 (Appendix 8)

The material in this section describes the action to be taken to obtain such a report. The Fraud Civil Investigation Manual (FCIM) contains detailed guidance in managing the disclosure process.

Reports may be invited or offered in Code 8 cases. These should be distinguished however as there is no necessary implication of fraud or culpability.

In Code 8 cases we may reveal the nature of our concerns. In CDF cases we do not. So in a CDF case we do not discuss what the report should specifically cover whereas in a Code 8 case we can say what matters should be included.

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