EM3550 - Recalculating Profits: Private Side: Introduction
Where a Return has been selected for full enquiry
EM0092 the enquiry officer should aim to
identify and examine all the significant risks of error in the
return, including the risk that it is fundamentally incorrect.
A full enquiry should always involve a comprehensive review
of the underlying records. For business taxpayers this would
include, where appropriate, a review of the private financial
affairs of the taxpayer as well as the business books and records.
Once you have established that the business records are not
as accurate as they should be, you need to look at the private
side.
Where the underlying business records were completely
inadequate the enquiry might proceed almost entirely by review of
the private side.
Business and private side reviews should not be mutually
exclusive. Although one method may be used to establish and
quantify omissions it is always worth giving a little time to the
other to see whether or not it confirms your results
EM3520.
Look at the private side of the taxpayers affairs if your
examination of the records not only casts doubt on the accuracy of
the figures in the Return but suggests that the taxpayers level of
income, derived from the business, also lacks credibility.
Certain omissions may not show up in the records examination
or in a business model. There might be a second trade with sales
and purchases wholly in cash. However a private side review may
show that there had to be additional cash coming from somewhere.
The main techniques are
- cash testsEM3555
A cash-flow exercise on personal rather than business money.
- means testsEM3570+
A simple calculation of the approximate amount available for private expenditure after savings and specific items have been excluded. The adequacy of that figure will have to be considered in detail.
- capital statementsEM3580+
A full reconciliation year by year of the taxpayer's capital
worth, income and expenditure.
You and your manager should decide, in the light of the
importance of the case and your findings from your review of the
business side, how far these tests should be taken.
In an enquiry where sizeable and possibly fluctuating
understatements of business profits are suspected, it may be
necessary to prepare capital statements for each year in the
enquiry period.
In a smaller case, a means test for the year under enquiry or
a reconciliation of income, expenditure and capital for the period
covered by the investigation may be sufficient.
Whatever method you choose, the depth to which you wish to
take it, should be governed by the need to arrive at reasonably
accurate figures of understated profits as quickly as possible in
the circumstances.
If your approach has been through construction of a business
model, you should consider the effect of any resultant
understatement on the level of income available to the taxpayer
from the business. Is the revised figure too low or impossibly
high?
It is often difficult to establish the full extent of private
expenditure. It is very easy for us all to underestimate our own
spending on non-essential items. Taxpayers may well underestimate
when asked about their spending. To try to compensate for this, you
should give some thought to possible areas of personal expenditure.
During the initial risk assessment, the Risk Team may have
included information in the Standard Intelligence Pack (SIP) which
may provide clues to the sort of lifestyle the taxpayer enjoys?
A field visit may have been undertaken to the private
premises.
The house in which he or she lives will give you some idea.
You may be aware of local press coverage, the taxpayer's position
in the local community, ownership of assets (such as a boat), which
tend to indicate an expensive life-style with a lot of conspicuous
expenditure and other information in the SIP. How does this compare
with the money available?
In cases of any size the cash will rarely be absolutely low,
but it will often be out of line with a realistic appraisal of
spending habits.
Any examination of the private side, including any attempt to
recalculate profit from the private side, will require you to
review private accounts, credit, debit and store card statements
and so on
EM3560.
Clarification on access to non-business bank details is set
out in
EM2220.
