TTOG5115 | Settling the enquiry: introduction: sequence of events
From HM Revenue & Customs · Technical Teams Operational Guidance
In most Code 8 and 9 cases a broad sequence of events that applies. In some cases the steps will merge. Once the investigation phase of a case is over the Investigator will typically:
bring together the facts of the case established by investigation
reach a view of whether the facts support a conclusion that there is additional income, profits, gains or a restriction of allowances or reliefs
seek to agree with the taxpayer’s adviser the quantum of the additional income, profits etc that apply
consider and then seek agreement on the direct and indirect tax effects that follow from the additional income or profits etc to the point of agreeing where possible the precise additional tax due from all participants
continue to keep the question of culpability under review
consider the taxpayer’s means to settle the additional tax and where applicable the interest and penalties due
seek to negotiate an overall settlement - this may include all liabilities in a payment arrangement expressed in a contract offer
deal with any related matters of tax treatment, future position, carried forward values for losses etc so that the case can be passed tidily back (within 30 days) to the relevant Business Unit to deal with future years.
The guidance in the Enquiry Manual on concluding the enquiry applies equally to SI investigations and should be followed where appropriate.