
Guide to Taxpayers' Rights and HMRC Powers
Robert Maas(Author)
Bloomsbury Professional (Publisher)
6th Edition
Published on 27. September 2018
Book
Paperback/Softback
992 pages
978-1-5265-0755-6 (ISBN)
Description
Guide to Taxpayers' Rights and HMRC Powers, Sixth Edition illustrates the growing breadth of HMRC powers which seem to increase every year as successive governments strive to counter tax avoidance and offshore tax evasion. As this process continues, the rights of taxpayers become less evident and this book clearly lays out what these are, as well as the increasingly complex penalty regime for non-compliance and what steps practitioners can take on behalf of their client to challenge HMRC on any enquiries or decisions.
Finance Act 2018 included new provisions covering hidden economy conditionality, simplifying late submission and late payment sanctions, and extending time limit for offshore non-compliance; and the new edition addresses all these areas.
Key updates for this edition:
- Updated to include commentary on the Government's Making Tax Digital (MTD) initiative, the administrative rules for the April 2019 loan charge and the new VAT DOTAS rules.
- Includes coverage of important new cases including:
-- R (on application of Jiminez) v FTT (scope of information notices)
-- J P Whitter (Wearwell Engineers) Ltd v HMRC (removal from CIS)
-- HMRC v Raymond Tooth (deliberate inaccuracy)
-- Raftopolou v HMRC (interpretation of TMA 1970, s 118(2)).
This book is an essential resource for all tax practitioners, tax advisers and accountants.
Finance Act 2018 included new provisions covering hidden economy conditionality, simplifying late submission and late payment sanctions, and extending time limit for offshore non-compliance; and the new edition addresses all these areas.
Key updates for this edition:
- Updated to include commentary on the Government's Making Tax Digital (MTD) initiative, the administrative rules for the April 2019 loan charge and the new VAT DOTAS rules.
- Includes coverage of important new cases including:
-- R (on application of Jiminez) v FTT (scope of information notices)
-- J P Whitter (Wearwell Engineers) Ltd v HMRC (removal from CIS)
-- HMRC v Raymond Tooth (deliberate inaccuracy)
-- Raftopolou v HMRC (interpretation of TMA 1970, s 118(2)).
This book is an essential resource for all tax practitioners, tax advisers and accountants.
Reviews / Votes
The appropriate balance that ought to be struck between taxpayers' rights and tax authorities' powers is not one which has found universal consensus. For those who wish to embark on a normative journey to find the appropriate balance, the first step will be equipping oneself with a rigid understanding of the way that things actually are. For taxpayers, their advisers and students meanwhile, the practical merit of Maas' text is obvious. There is, in short, something in Maas' book for everybody. * British Tax Review *More details
Edition
6th edition
Language
English
Place of publication
London
United Kingdom
Publishing group
Bloomsbury Publishing PLC
Target group
Professional and scholarly
Dimensions
Height: 234 mm
Width: 156 mm
ISBN-13
978-1-5265-0755-6 (9781526507556)
Copyright in bibliographic data and cover images is held by Nielsen Book Services Limited or by the publishers or by their respective licensors: all rights reserved.
Schweitzer Classification
Other editions
Previous edition

Robert Maas
Guide to Taxpayers' Rights and HMRC Powers
Book
10/2017
5th Edition
Bloomsbury Professional
€207.98
Article exhausted; check for reprint
Person
Robert W Maas FCA FTII FIIT TEP is a tax consultant at CBW Tax and one of the leading experts in his field.
Content
Chapter 1 Introduction
Chapter 2 Tax Returns
Chapter 3 Enquiries and Other Interventions
Chapter 4 Special Returns
Chapter 5 Information Powers
Chapter 6 Assessments and Claims
Chapter 7 Appeals and Other Proceedings
Chapter 8 Payment of the Tax
Chapter 9 Collection and Recovery
Chapter 10 Interest on Overdue Tax
Chapter 11 Interest Receivable and Repayment Supplements
Chapter 12 Penalties
Chapter 13 HMRC's Power of Care and Management
Chapter 14 Miscellaneous
Chapter 15 Disclosure of Tax Avoidance Schemes
Chapter 16 Serial Tax Avoiders
Appendix Main Implementation Dates for HMRC Powers
Index
Chapter 2 Tax Returns
Chapter 3 Enquiries and Other Interventions
Chapter 4 Special Returns
Chapter 5 Information Powers
Chapter 6 Assessments and Claims
Chapter 7 Appeals and Other Proceedings
Chapter 8 Payment of the Tax
Chapter 9 Collection and Recovery
Chapter 10 Interest on Overdue Tax
Chapter 11 Interest Receivable and Repayment Supplements
Chapter 12 Penalties
Chapter 13 HMRC's Power of Care and Management
Chapter 14 Miscellaneous
Chapter 15 Disclosure of Tax Avoidance Schemes
Chapter 16 Serial Tax Avoiders
Appendix Main Implementation Dates for HMRC Powers
Index