IHTM30411 - Reopening IHT
liabilities: introduction
Notwithstanding any misleading advice or other official error,
you ought to pursue underpaid tax and interest unless there is a
statutory bar to recovery. Nevertheless in conformity with HMRC
guidelines you should first consider the possibility of remission (
IHTM30501) in the following exceptional
situations.
- It is claimed that a taxpayer has relied
on misleading advice or assurance, whether given by a member of the
office or in an official leaflet.
- It is claimed that a taxpayer has acted to
their financial detriment on the basis of an error made by the
office.
- A taxpayer has placed all the facts before
us and we have failed to act within an appropriate time, and it is
reasonable for the taxpayer to believe that their affairs were in
order.