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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: where specific figures can be drawn up

TTOG5315 | Settling the enquiry: agreeing income profit additions: where specific figures can be drawn up

From HM Revenue & Customs · Technical Teams Operational Guidance

In all types of cases we can proceed with a degree of confidence from the starting point of what has been returned or disclosed towards the objective of the best available measure of specific net income or profit.

The methods will vary. In many Code 9 cases where there is a Disclosure Report featuring capital statements the Investigator will amend the statements. This accords with the commitments at TTOG5305, provides a ready basis for agreement with the adviser and in the event of non-agreement pre-prepares a contentious appeal presentation.

In many other cases where capital statements are inappropriate it will still be possible to show how we build up our figure of income or profits for each year.

We should use whatever method best serves the needs of the case.

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