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Official guidance
VAT Fraud

VATF34000 · What to consider prior to determining whether to use an intervention: applying VAT basics

  • VATF34200 · Was there a supply for VAT purposes?
  • VATF34300 · Was the supply of goods or services?
  • VATF34400 · Did the supply take place in the UK?
  • VATF34500 · Was the supply made to a taxable person?
  • VATF34600 · Was the supply made in the course or furtherance of any business carried on or to be carried on by the taxable person?
  • VATF34700 · Other basic matters to consider
  1. What to consider prior to determining whether to use an intervention: applying VAT basics: contents
  2. What to consider prior to determining whether to use an intervention: applying VAT basics: was the supply made in the course or furtherance of any business carried on or to be carried on by the taxable person?

VATF34600 | What to consider prior to determining whether to use an intervention: applying VAT basics: was the supply made in the course or furtherance of any business carried on or to be carried on by the taxable person?

From HM Revenue & Customs · VAT Fraud

The concept of business is central to the operation of the UK VAT system. It assists in determining both the scope of the tax under The VAT Act 1994, Section 4(1) and whether tax can be seen as input tax under The VAT Act 1994, Section 24(1). Thus both a taxable person’s liability to account for output tax and ability to recover tax as input tax are dependent upon whether HMRC sees their activities as business.

VBNB provides guidance on whether a supply is made in the course or furtherance of any business carried on or to be carried on by a taxable person.

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