| CISR43600 | Action guide contents |
From 15 October 2007, there will be a facility to run a ''one off'' or what is called an ''ad-hoc'' Tax Treatment Qualification Test (TTQT). This can be requested where you felt that the subcontractor was not meeting their compliance obligations and could include the following situations, note however that this list is not exhaustive;
Where the result of the ''ad-hoc'' TTQT results in a ''failure''
CISR will notify the subcontractor of their loss of gross payment
status by the issue of a CIS308 with a 90 day notice period of when
this change of tax treatment will take effect.
An ''ad-hoc'' TTQT cannot be run however where
any of the following circumstances are present
Where CISR identifies any of these circumstances a warning
message will be displayed to the operator indicating that the
request for the ''Ad-hoc'' TTQT cannot proceed.
Where the tax treatment has been recently changed following
a previous TTQT, then CISR will display a warning to the user
advising that the tax treatment was recently changed following a
request made by the subcontractor, however CISR will allow the user
to proceed with the ''ad hoc'' TTQT request.
Another warning message will also display where you ask for
an ''ad-hoc'' TTQT, but by making this request, will result in a
Tax Treatment failure being tested again when that failure has
already been tested before on a previous TTQT. In this case CISR
will not allow the user to proceed with the ''ad-hoc'' TTQT
request. Instead a Manual TTQT (See
CISR43070) will need to be carried out,
and if that results in a ''failure'' then the function ''Change
TT'' (See
CISR43630) should be used to change the
tax treatment of the subcontractor.
When you have requested an ''ad-hoc'' TTQT that results in a
''pass'', the date of the next tax treatment scheduled review will
not alter where gross payment status has been retained by the
subcontractor. This is so even where the normal tax treatment
scheduled review date is only a short time in the future.
Where you request an ''ad-hoc'' TTQT and that compliance
test results in a ''failure'', if following a successful appeal
made by the subcontractor gross payment status is restored, the
date of the next tax treatment scheduled review (See
CISR49000) will change to 12 months
after the date of the last failure reason CISR identified (See
Example 1 below). Where however this would result in a next
scheduled review date that is less than 90 days in the future or is
in the past then CISR will automatically re-set the next scheduled
review date for 90 days into the future from the date the appeal
was determined.
A subcontractor registers for gross payment status on 12 April 2008; the date set for the next tax treatment scheduled review is 12 March 2009. An ''ad-hoc'' TTQT is run on 12 February 2009 and results in a fail, the most recent failure reason being the late payment of the Self- Assessment Balancing charge for 2007/2008 due on 31 January 2009. The subcontractor makes an appeal on the grounds that they had a ''reasonable excuse'' and the appeal is upheld. Instead of the next scheduled review date being 12 February 2010, it is now set for 31 January 2010, being the 12 month anniversary of the most recent failure reason.
A subcontractor registers for gross payment status on 12 April 2008; the date set for the next tax treatment scheduled review is 12 March 2009. An ''ad-hoc'' TTQT is requested on 12 February 2009 and results in a pass, the only failure being found is the late payment (by one day) of the Self-Assessment Balancing charge for 2007/2008 due on 31 January 2009. Instead of the next tax treatment scheduled review date now being 12 January 2010, the next tax treatment scheduled review date of 12 March 2009 remains undisturbed.