SCHEDULES

C1SCHEDULE 17Disclosure of tax avoidance schemes: VAT and other indirect taxes

Annotations:
Modifications etc. (not altering text)
C1

Sch. 17 modified (17.12.2020 for specified purposes, 31.12.2020 in so far as not already in force) by 1994 c. 23, Sch. 9ZA para. 80 (as inserted by Taxation (Post-transition Period) Act 2020 (c. 26), s. 11(1)(e), Sch. 2 para. 2 (with s. 3(4), Sch. 2 para. 7(7)-(10)); S.I. 2020/1642, reg. 9)

PART 1Duties to disclose avoidance schemes etc

Reasons for non-disclosure: supporting information

I130

1

Where HMRC receive from a person (P) a statement of reasons why a proposal or arrangements are not notifiable by P, HMRC may apply to the tribunal for an order requiring P to provide specified information or documents in support of the reasons.

2

P must comply with a requirement under or by virtue of sub-paragraph (1) within—

a

the relevant period, or

b

such longer period as HMRC may direct.

3

In sub-paragraph (2) “the relevant period” is the period of 15 days beginning with the day on which the order concerned is made.

4

The power under sub-paragraph (1)—

a

may be exercised more than once, and

b

applies whether or not the statement of reasons was received under paragraph 29(1)(b).