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Contents

Official guidance
VAT Business/Non-Business Manual

VBNB30000 · VAT Business and Non-Business: Principles

  • VBNB30050 · Policy Background
  • VBNB30200 · How to decide whether an activity is business for VAT purposes
  • VBNB30300 · Factors to consider in determining whether supplies are for the purpose of generating income
  • VBNB30400 · Taxable person with more than one activity
  • VBNB30500 · Why is apportionment of tax needed?
  • VBNB31000 · Methods of Apportionment
  • VBNB33000 · Different types of Apportionment Methods
  • VBNB34000 · Agreeing an Apportionment Method
  • VBNB33100 · VAT Business and Non-Business: Principles: Reviewing the Method
  • VBNB35000 · Retrospective Changes to a Method
  • VBNB36000 · Errors in Methods
  • VBNB37000 · Challenging Apportionments
  1. VAT Business and Non-Business: Principles: contents
  2. VAT Business and Non-Business: Principles: Challenging Apportionments

VBNB37000 | VAT Business and Non-Business: Principles: Challenging Apportionments

From HM Revenue & Customs · VAT Business/Non-Business Manual

HMRC cannot challenge a method. However, we can challenge the result it gives.

HMRC will not challenge the method immediately if a business proposes a method that:

  • we agree currently gives a fair result; but

  • we believe is likely to give an inaccurate result in future.

Instead we will:

  • tell the business about our concerns now; and

  • in the future challenge the misleading result.

HMRC may disagree with the proportion of tax a business treats as input tax. When this happens we will initially bring our concerns to the attention of the business. We will ask the business to alter or justify the result of its method.

If:

  • the result is outside the range of what might be considered fair and reasonable; and

  • the business will not change the proportion

HMRC will substitute our own judgement. We will then assess for the difference in input tax between our figures and those of the business.

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