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Finance Act 2020

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Changes over time for: Cross Heading: Liability of officers of insolvent companies

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Liability of officers of insolvent companiesU.K.

15(1)This paragraph—U.K.

(a)provides for an individual to be jointly and severally liable to the Commissioners for Her Majesty's Revenue and Customs for a liability of a company to income tax charged under paragraph 8, where a notice under sub-paragraph (2) is given to the individual, and

(b)applies paragraphs 10 to 15 and 17 of Schedule 13 (joint liability notices: tax avoidance, tax evasion and repeated insolvency and non-payment) to such a notice.

(2)An officer of Revenue and Customs may give a notice under this sub-paragraph to an individual if it appears to the officer that conditions A to D are met.

(3)Condition A is that—

(a)the company is subject to an insolvency procedure, or

(b)there is a serious possibility of the company becoming subject to an insolvency procedure.

(4)Condition B is that the company is liable to income tax under paragraph 8.

(5)Condition C is that the individual was responsible for the management of the company at the time the income tax first became chargeable and the individual knew (at that time) that the company was not entitled to the amount of the coronavirus support payment in relation to which the tax is chargeable.

(6)Condition D is that there is a serious possibility that some or all of the income tax liability will not be paid.

(7)For the purposes of sub-paragraph (5) the individual is responsible for the management of a company if the individual—

(a)is a director or shadow director of the company, or

(b)is concerned (whether directly or indirectly) in, or takes part in, the management of the company.

(8)A notice under sub-paragraph (2) must—

(a)specify the company to which the notice relates;

(b)set out the reasons for which it appears to the officer that conditions A to D are met;

(c)specify the amount of the income tax liability;

(d)state the effect of the notice;

(e)offer the individual a review of the decision to give the notice and explain the effect of paragraph 11 of Schedule 13 (right of review);

(f)explain the effect of paragraph 13 of that Schedule (right of appeal).

(9)An individual who is given a notice under sub-paragraph (2) is jointly and severally liable with the company (and with any other individual who is given such a notice) to the amount of the income tax liability specified under sub-paragraph (8)(c).

For provision under which the amount so specified may be varied, see—

(a)paragraph 10 of Schedule 13 (modification etc),

(b)paragraphs 11 and 12 of that Schedule (review), and

(c)paragraphs 13 and 14 of that Schedule (appeal).

(10)Paragraphs 10 to 15 and 17 of Schedule 13 apply to a notice under sub-paragraph (2) as they apply to a joint liability notice (see paragraph 1(2) of that Schedule) as if—

(a)the references in those paragraphs to “relevant conditions” were to conditions A to D in this paragraph;

(b)sub-paragraphs (3) and (4) of paragraph 10 were omitted (and references to sub-paragraph (3) in that paragraph were omitted);

(c)in paragraph 10(6)(a), after “or (9)” there were inserted “ or paragraph 15(8)(c) of Schedule 16 ”;

(d)in paragraph 12(6)(b) after “5(9)” there were inserted “ or paragraph 15(8)(c) of Schedule 16 ”.

(11)Expressions used in this paragraph and in Schedule 13 have the same meaning in this paragraph as they have in that Schedule (subject to the modification made by sub-paragraph (10)(a)).

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