A cash offer is obviously always preferred to an instalment
offer because
This means that there will be cases in which a moderately
substandard cash offer will be preferred to a more precisely
calculated instalment arrangement.
But if you need to consider a formal instalment arrangement (
IHTM36252), you must take into account
how much the taxpayer can pay at the outset and by way of
instalments. The arrangements may vary to take into account the
particular circumstances. The length of the payment period (
IHTM36254) should not normally exceed 5
years and you will need to refer any arrangement that lasts more
than 2 years.
If you agree to payment by instalments the penalty will have
to be recalculated (
IHTM36253) to compensate for the three
factors mentioned in the first paragraph. This may need to be
revised in the event of an early settlement (
IHTM36256).
Instalments are payable by standing order (
IHTM36255).
The instalment arrangements are to be incorporated into the
letter of offer (
IHTM36345).