SCHEDULES

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

PART 1Duties to disclose avoidance schemes etc

“Makes a firm approach” and “marketing contact”

10

(1)

A person makes a firm approach to another person in relation to a notifiable proposal if the person makes a marketing contact with the other person in relation to the proposal at a time when the proposed arrangements have been substantially designed.

(2)

A person makes a marketing contact with another person in relation to a notifiable proposal if—

(a)

the person communicates information about the proposal to the other person,

(b)

the communication is made with a view to that other person, or any other person, entering into transactions forming part of the proposed arrangements, and

(c)

the information communicated includes an explanation of the tax advantage that might be expected to be obtained from the proposed arrangements.

(3)

For the purposes of sub-paragraph (1) proposed arrangements have been substantially designed at any time if by that time the nature of the transactions to form part of them has been sufficiently developed for it to be reasonable to believe that a person who wished to obtain the tax advantage mentioned in sub-paragraph (2)(c) might enter into—

(a)

transactions of the nature developed, or

(b)

transactions not substantially different from transactions of that nature.