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2007
BUDGET SUMMARY
Other
Matters
Online
filing
Lord
Carter’s review of HMRC online filing services was
published in 2006. Legislation will be brought forward
during 2007 to implement the changes which will start in
2008.
The key proposals are to:
-
require
businesses to file their PAYE in-year forms, VAT
returns and company tax returns online in phases from
April 2009
-
introduce
new filing deadlines for income tax self assessment
returns of 31 October for paper forms from 2008 but
retain 31 January for online returns
-
relate
the time limit for HMRC to commence enquiries into an
income tax self assessment return to the actual filing
date of the return and not the statutory filing date.
Company
filing dates
Following
Lord Carter’s recommendations and consultation by HMRC
and Companies House, the government will work to provide a
single online filing facility by 2010. From 2008 the
period during which an enquiry can be opened into a
corporation tax return will, for most companies, be tied
to the actual date HMRC receives the return rather than a
fixed filing date. The aim of this is to encourage earlier
filing and give businesses certainty sooner.
Review of
HMRC powers, deterrents and safeguards
The
government launched a review of HMRC powers and taxpayer
safeguards in March 2005 as a result of the creation of
the newly formed HMRC. The general consultation on the
approach to investigation work is continuing and will
focus on areas such as safeguards for taxpayers, making it
easier to pay, tackling late payment and compliance
assurance checks.
Criminal
investigation powers
Currently
the powers in the Police and Criminal Evidence Act 1984
(PACE) apply only to the former Customs & Excise part
of HMRC. These powers are to be extended right across HMRC
and will apply to criminal investigations into direct as
well as indirect taxes. Specifically Revenue officers will
be able to:
-
apply to
magistrates and judges for search warrants
-
apply to
judges for a court order to obtain evidence from a
third party
-
arrest
suspects, search upon arrest and question.
Penalties
for incorrect returns
There are
currently a wide range of penalty powers within the
different tax regimes administered by HMRC. These will be
removed and replaced by a single regime that will apply
for income tax, corporation tax, PAYE, NIC and VAT where
taxpayers understate their liability to tax.
The new penalty regime will be largely determined by the
behaviour of the taxpayer leading up to the
understatement. The extent of any disclosure made will be
taken into account, but it is anticipated that there will
be much less scope for negotiation on the level of
penalties than under the current regime.
The new rules will also provide for penalties to be
suspended to allow taxpayers to demonstrate that they have
mended their ways.
The provisions are likely to apply to returns for periods
commencing after 31 March 2008 where the return is filed
after 31 March 2009.
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