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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: the starting point

TTOG5310 | Settling the enquiry: agreeing income profit additions: the starting point

From HM Revenue & Customs · Technical Teams Operational Guidance

Where the disclosure in the Disclosure Report is broadly accepted the starting point is the schedules to the Report itself. In non-report cases the starting point is usually the taxpayer’s returned income or profits.

In some cases (ghosts, failure to notify cases etc.) there may be no return or at least no return of the matter which is the subject of investigation. In these cases the starting point will be the Investigator’s own schedules derived from investigation.

Where the registration is concerned with a single issue or transaction there may be no need for ‘schedules’ as such at all.

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