[F1272AApplication of Schedule 36 FA 2008 powersU.K.
(1)Schedule 36 to FA 2008 (information and inspection powers) applies for a relevant purpose in relation to a relevant person as it applies for the purpose of checking the tax position of a person as if—
(a)any provisions which can have no application for that purpose were omitted (for example, paragraphs 10A, 11, 12A and 12B);
(b)references to “the taxpayer” were to “the relevant person”;
(c)references to prejudice to the assessment or collection of tax included prejudice to the fulfilment of a relevant purpose;
(d)references to “business documents” included any documents (or copies of documents) in connection with any relevant arrangements or relevant proposal;
(e)references to a pending appeal relating to tax were to a pending appeal by the relevant person under this Part;
(f)in paragraph 13, after “paragraph 39” there were inserted “ of this Schedule and paragraph 2(3A) of Schedule 35 to FA 2014 ”;
(g)paragraphs 21 to 21B were omitted;
(h)paragraph 25 were omitted;
(i)in paragraph 29(1) for “a taxpayer”, in the first place it occurs, there were substituted “ a relevant person ”;
(j)Part 7 (penalties) were omitted (but see Schedule 35 of this Act).
(2)A person is “relevant” if—
(a)the officer suspects that the person carries on, or has in the past carried on, a business as a promoter in relation to a relevant proposal or relevant arrangements and—
(i)the officer suspects that the person has met a threshold condition,
(ii)the officer suspects the person could be given a defeat notice, or
(iii)the officer suspects the person promotes, or has promoted, arrangements, or proposals for such arrangements, of a description that the officer suspects could be specified in a stop notice,
(b)the officer suspects that—
(i)the person made a relevant transfer, or
(ii)the person is a person to whom a relevant transfer was made, or
(c)the person is, or was, subject to a stop notice, conduct notice or monitoring notice.
(3)The following are “relevant purposes” in relation to a relevant person—
(a)determining whether the relevant person carries on or has in the past carried on a business as a promoter in relation to a relevant proposal or relevant arrangements;
(b)determining whether the relevant person has met a threshold condition;
(c)determining whether the relevant person could be given a defeat notice;
(d)determining whether the person has provided false or misleading information or documents in relation to a stop notice, conduct notice or monitoring notice;
(e)determining whether arrangements, or proposals for such arrangements, that an officer suspects are promoted by the relevant person are of a description that could be specified in a stop notice;
(f)enabling HMRC to understand the operation of arrangements, or proposals for such arrangements, that an officer suspects are promoted by the relevant person;
(g)identifying any other person who has a connection with the relevant person that results (whether solely because of that connection or otherwise) in the relevant person being a member of a promotion structure;
(h)determining whether the relevant person made a relevant transfer, and if so to whom;
(i)determining whether a relevant transfer was made to the relevant person, and if so by whom;
(j)monitoring compliance with any stop notice, conduct notice or monitoring notice the relevant person is subject to.
(4)In this section—
(a)reference to compliance with a stop notice, conduct notice or monitoring notice includes compliance with any provisions of this Part that a person subject to such a notice must comply with;
(b)reference to a person “promoting” is to be construed in accordance with section 236A(7);
(c)“relevant transfer” has the meaning it has in paragraph 5 of Schedule 33A (promotion structures).]
Textual Amendments
F1S. 272A inserted (with effect in accordance with s. 121(6) of the amending Act) by Finance Act 2021 (c. 26), Sch. 30 para. 4