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Contents

Official guidance
VAT Partial Exemption Guidance

PE40000 · Consideration of Partial Exemption (PE) special methods

  • PE40500 · Introduction
  • PE41000 · When a special method is appropriate
  • PE41500 · When income goes wrong
  • PE42000 · Requests for a special method and information required
  • PE42500 · Consideration, approval and refusal of a special method
  • PE43000 · Consideration of Partial Exemption special methods: the declaration
  • PE44500 · De facto approval
  • PE45000 · ‘Provisional’ methods
  • PE45500 · Estimated input tax recovery
  • PE46000 · Sampling exercises and fixed percentages
  • PE46500 · Retrospective changes to a method
  • PE47000 · Backdating approval
  • PE47500 · Requests for changes to special methods
  • PE48000 · ‘Gaps’ in special methods
  • PE48500 · Consideration of Partial Exemption special methods: unsatisfactory methods
  1. Consideration of Partial Exemption (PE) special methods: contents
  2. Consideration of Partial Exemption (PE) special methods: sampling exercises and fixed percentages

PE46000 | Consideration of Partial Exemption (PE) special methods: sampling exercises and fixed percentages

From HM Revenue & Customs · VAT Partial Exemption Guidance

Suggestions are often put forward for methods based on sampling exercises where it is argued that the exercise has been costly or that investment has been made in new resources in anticipation of approval thus putting pressure on the officer to approve. Sampling exercises are not appropriate. Sampling is in effect an estimation device. Estimation is not allowed see PE20500. Similarly, fixed percentages should be avoided, because they are virtually impossible to verify and do not react to changing circumstances. Ideally, a method should be agreed that would flow with the business and react to the changing relationship of use between the various inputs.

In particular, you must not state that a sector can recover all (or none) of its residual input tax. If a sector currently makes exclusively taxable or exclusively exempt supplies it should be stated that the residual input tax in the sector should be recovered to the extent that the input tax bearing costs are used, or to be used, to make taxable supplies.

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