| Introduction |
| Conduct of review |
| Options following review |
When we make an appealable indirect tax decision, we will offer
a review at the same time. Usually, the decision maker will include
the offer of a review in their decision letter, see
ARTG3050 and
ARTG4230.
The customer may either
The customer may put further arguments or new information to the
decision maker. If so, the decision maker may allow a further
period of 30 days (which may start from a future date) within which
the customer can appeal or accept the review offer.
We can allow extensions of time only if we notify the
customer to that effect within 30 days of our decision letter (note
that the customer does not have 30 days to ask us to do this
– they must notify us in sufficient time that we can respond
within 30 days). This protects the customer’s review and
appeal rights while HMRC’s consideration of the new
information or arguments is ongoing.
If the customer wishes to accept the review offer or appeal
to the tribunal they should do so within 30 days of the date of the
decision letter, or within any extended time limit.
If the customer accepts the review offer HMRC must carry out the review within 45 days of the date HMRC received the customer’s review acceptance unless another period is agreed (the “review period”), see ARTG4690. Once they have accepted a review offer, the customer may only appeal to the tribunal after either
Once the review is completed, the review officer will write to
the customer with their conclusions. If the customer does not agree
with the review officer’s conclusions they have a further 30
days from the date of the conclusion of review letter within which
to appeal to the tribunal.
If the review officer does not write to the customer to tell
them the review conclusion within the review period, the review
officer must write and tell the customer as soon as possible after
it has ended that the decision under review is treated as upheld.
The customer may appeal to the tribunal at any time between
the end of the review period and 30 days from the date of the
review officer’s letter telling the customer the conclusion
that the review is treated as having reached, see
ARTG3120.