IHTM36167 - Investigating incorrect accounts, information or documents: deciding the amount of penalty due
For a penalty to be due on an incorrect account, information
or document (
IHTM36101) you need
- to first satisfy yourself through your enquiries and investigations that there is fraud (IHTM36290) or negligence ( IHTM36301)
- decide which penalty provision ( IHTM36102) applies so that you can calculate the maximum penalty payable ( IHTM36177)
- you then have to establish by careful evaluation of the facts the degree of culpability so you can decide to what extent the maximum penalty can be abated ( IHTM36177).
If there is no evidence of fraud or negligence then no penalty
is due in respect of delivering, furnishing or producing incorrect
accounts, information or documents. But if there was a failure to
correct an error without unreasonable delay (
IHTM36208) then you will need to
consider a penalty under IHTA84/S248.
Before negotiating a penalty (
IHTM36221) with the taxpayer you will
need to get prior approval (
IHTM36223) from your manager for the
amount of penalty (‘the expected offer’ (
IHTM36174)) you are seeking.
Even if you decide not to take a penalty you should consider
writing to or telephoning the taxpayer (
IHTM36271) to explain what might be
done in future when providing an account, information or document
so that the question of penalties does not arise.
