IHTM36151 - Raising enquiries into incorrect accounts, information and documents: general approach
Before you can consider whether a penalty may be due you will
need to make sure you establish the facts that led to the provision
of an incorrect account, information or document (
IHTM36101). You need to raise such
enquiries as are necessary for you satisfy yourself that the
taxpayers either did or did not act prudently and reasonably in
carrying out their statutory responsibilities.
Personal representatives (
IHTM05012) must make ‘the fullest
enquiries reasonably practicable in the circumstances’ to
find out all appropriate property and the value of that property.
It is always important to establish the particular circumstances
the personal representatives found themselves in as they went about
the task of putting together an account for delivery. The enquiries
that might be reasonable for a personal representative to make in
one set of circumstances may not necessarily be reasonable to
expect in other circumstances. You should refer any cases of doubt
or difficulty to the Penalty Portfolio Holder, via your manager.
Exactly what information you need will depend on the
circumstances of the case. But bear in mind the onus is on you to
demonstrate that the taxpayer has been negligent (
IHTM36301) or, in rare cases,
fraudulent (
IHTM36291). In some cases this may mean
having to convince the First-tier Tribunal or a Court that a
penalty is due.
You must make sure that you have all the facts you need
before you ask for a penalty. This means framing your questions so
you get the precise information you are seeking. The next page (
IHTM36152) gives examples of the sort
of questions that you need to ask at the outset when someone
delivers an incorrect account. There is separate guidance (
IHTM36161) on how to consider replies
to your enquiries.
You should invite the taxpayer to let you have any
representations that they would like you to consider in deciding
whether a penalty is due or, at the appropriate time, the amount of
any penalty.
You should ensure that you keep up the momentum of your
enquiry and, if necessary, apply the full procedures for dealing
with delay by taxpayers (
IHTM32121).
