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Finance (No. 2) Act 2023

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Group payment noticesU.K.

34(1)An officer of Revenue and Customs may issue a group payment notice if an amount payable by a member of a multinational group of multinational top-up tax (including any interest on that amount) is not paid by the end of the period of three months beginning with the relevant date.

(2)A group payment notice may be issued to any person who is a member of the group or who was a member of the group at [F1any time in the accounting period to which the amount payable relates] (wherever in the world they are located), subject to paragraph 35 where the group contains ring-fenced entities.

[F2(2A)The references to a member of a group in sub-paragraph (2) do not include a member of a group that is—

(a)a securitisation company (within the meaning given by section 267(4)),

(b)a covered bond vehicle (within the meaning given by section 272A(5)), or

(c)an investment entity.]

(3)A group payment notice is a notice requiring the recipient to pay an outstanding amount of multinational top-up tax payable by a member of the group by a date specified in the notice.

(4)The notice may not specify a date earlier than the date 30 days after the notice is issued.

(5)A group payment notice must state—

(a)the amount of any tax that remains unpaid,

(b)the date any tax first became payable, and

(c)the member's right of appeal (see paragraph 36(3)).

(6)A group payment notice may not be issued more than 3 years and 6 months after the relevant date.

(7)If the amount payable is as assessed in a self-assessment return, the relevant date is the later of—

(a)the date on which multinational top-up tax must be paid;

(b)in a case where the return is delivered after the submission date, the date on which the return is delivered;

(c)if notice of enquiry is given, the date on which the enquiry is completed;

(d)if as a result of such an enquiry the return is amended, the date of the closure notice in relation to that enquiry;

(e)if there is an appeal against the closure notice, the date on which the appeal is finally determined.

(8)If the amount payable is as assessed in a discovery assessment, the relevant date is—

(a)if there is no appeal against the assessment, the date on which the notice of assessment is issued, or

(b)if there is such an appeal, the date on which the appeal is finally determined.

(9)If the amount payable is as assessed in a determination that has not been superseded, the relevant date is the date on which notice of the determination was issued.

Textual Amendments

F1Words in Sch. 14 para. 34(2) substituted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 58(1)(b)(i)

F2Sch. 14 para. 34(2A) inserted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 58(1)(b)(ii)

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