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Official guidance
VAT Assessments and Error Correction

VAEC1100 · VAT assessment powers

  • VAEC1110 · Powers of assessment: VAT assessment powers: Introduction
  • VAEC1111 · Powers of assessment: VAT assessment powers: The law relating to VAT assessments
  • VAEC1112 · Powers of assessment: VAT assessment powers: Other legal powers to assess for VAT
  • VAEC1120 · Powers of assessment: VAT assessment powers: An overview of time limits
  • VAEC1130 · Powers of assessment: VAT assessment powers: The law supporting time limits
  • VAEC1140 · Powers of assessment: VAT assessment powers: Four and twenty capping time limit rules
  • VAEC1141 · Powers of assessment: VAT assessment powers: The two year rule
  • VAEC1142 · Powers of assessment: VAT assessment powers: The one year evidence of facts rule
  • VAEC1143 · Powers of assessment: VAT assessment powers: The four year rule
  • VAEC1150 · Powers of assessment: VAT assessment powers: Assessments for deceased traders time limits
  • VAEC1160 · Powers of assessment: VAT assessment powers: Time limits for long first period return assessments
  • VAEC1180 · Powers of assessment: VAT assessment powers: Time limits for other assessments
  • VAEC1190 · Powers of assessment: VAT assessment powers: How to work out the four and two year span
  • VAEC1220 · Powers of assessment: VAT assessment powers: Delay in handling fraud cases
  • VAEC1230 · Powers of assessment: VAT assessment powers: Risk of delay
  • VAEC1240 · Powers of assessment: VAT assessment powers: Out of time assessments
  1. VAT assessment powers: contents
  2. Powers of assessment: VAT assessment powers: The two year rule

VAEC1141 | Powers of assessment: VAT assessment powers: The two year rule

From HM Revenue & Customs · VAT Assessments and Error Correction

This is the most fundamental assessment time limit. You can assess for a prescribed accounting period, at any time after the due date for submission of the VAT return.

However providing that the last day of the period which contains the misdeclaration, or for which no return was rendered, is no older than 2 years on the day you make and notify your assessment the two year rule will apply.

If this is the case you need not concern yourself with any other time limits.

For assessments under Section 73(2) raised on or after 19th March 2008 the 2 year rule runs from the end of the prescribed accounting period in which the VAT was paid or credited.

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