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Official guidance
Technical Teams Operational Guidance

TTOG5300 · Settling the enquiry: agreeing income profit additions

  • TTOG5305 · Objectives
  • TTOG5310 · The starting point
  • TTOG5315 · Where specific figures can be drawn up
  • TTOG5320 · Difficulties in drawing up specific figures
  • TTOG5325 · Problem areas
  • TTOG5330 · Concessions in negotiating income/profits/gains
  • TTOG5335 · Tax treatment
  • TTOG5340 · Technical arguments
  • TTOG5345 · Treatment of additional VAT
  • TTOG5350 · Treatment of inheritance tax
  • TTOG5355 · Authority for agreeing profits and gains
  1. Settling the enquiry: agreeing income profit additions: contents
  2. Settling the enquiry: agreeing income profit additions: objectives

TTOG5305 | Settling the enquiry: agreeing income profit additions: objectives

From HM Revenue & Customs · Technical Teams Operational Guidance

The key commitments in our Codes of Practice are:

  • we will only suggest adjustments that we consider to be reasonable in the light of the information we hold

  • we will explain the figures we may propose for settling matters.

These commitments mean that whenever we can we should proceed from what the taxpayer has returned or disclosed. We should put ourselves in a position where we can explain the reasonable adjustments we want to make to the taxpayer’s figures and we should try to agree these wherever possible.

Our general objective is to try in all cases to arrive for each year and for all sources at a true figure of income or profit etc. with full deduction given for all reliefs and allowances etc due. The figures of income or profits to be assessed and the resulting unpaid duties should be as near as possible to the additional amount that the taxpayer would have paid if he/she had been honest, prompt and well advised.

These figures must be based on the transactions that actually occurred. We should not permit the taxpayer to disregard the results of poor tax planning or ill-advised avoidance.

(This content has been withheld because of exemptions in the Freedom of Information Act 2000) TTOG5355(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

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