
HMRC Investigations Handbook 2016/17
Mark McLaughlin(Author)
Bloomsbury Professional (Publisher)
Published on 24. February 2017
Book
Paperback/Softback
1120 pages
978-1-78451-308-5 (ISBN)
Article exhausted; check for reprint
Description
HMRC Investigations Handbook 2016/17 will assist and support when you are representing clients under investigation. Outlining current law and practice, it guides you through HMRC procedures pinpointing your role and responsibilities.
Accessible, user-friendly, and written to be used in practice, this title supplies a huge amount of guidance on all aspects of HMRC's investigative work - special civil investigations, criminal prosecutions, plus self assessment enquiries, VAT and customs visits, penalties and appeals. The practical advice covers interviews with HMRC, revenue information powers, tax appeals and settlement negotiations, plus vital information on the relationship between tax evasion and money laundering.
Contents:
Section 1: Investigations and enquiries:
Chapter 1 HMRC enquiries: outline and recent developments; Chapter 2 Serious civil tax investigations into fraud and avoidance: Code of Practice 9 (Contractual Disclosure Facility) and Code of Practice 8; Chapter 3 Tax fraud: criminal investigations and prosecution - direct tax; Chapter 4 Contentious tax planning enquiries; Chapter 5 Offshore tax investigations, disclosure campaigns and tax cooperation agreements;
Section 2: The progress of an enquiry:
Chapter 6 Practical aspects of an enquiry; Chapter 7 Selection for enquiry; Chapter 8 Conduct of enquires; Chapter 9 Meetings with HMRC; Chapter 10 Conduct of a full enquiry; Chapter 11 Settlement negotiations; Chapter 12 Alternative Dispute Resolution;
Section 3: Practical issues:
Chapter 13 Voluntary disclosures; Chapter 14 Private records: are they 'private'?; Chapter 15 Business record checks and examinations; Chapter 16 HMRC's information powers; Chapter 17 Preparing reports for HMRC; Chapter 18 Penalties for error; Chapter 19 Penalties for failure to notify; Chapter 20 Tax appeals; Chapter 21 Accelerated payment notices and follower notices; Chapter 22 Tax debt collection; Chapter 23 Complaints about HMRC;
Section 4: VAT, NIC, employment income:
Chapter 24 VAT aspects; Chapter 25 National Insurance aspects; Chapter 26 Employment income.
Accessible, user-friendly, and written to be used in practice, this title supplies a huge amount of guidance on all aspects of HMRC's investigative work - special civil investigations, criminal prosecutions, plus self assessment enquiries, VAT and customs visits, penalties and appeals. The practical advice covers interviews with HMRC, revenue information powers, tax appeals and settlement negotiations, plus vital information on the relationship between tax evasion and money laundering.
Contents:
Section 1: Investigations and enquiries:
Chapter 1 HMRC enquiries: outline and recent developments; Chapter 2 Serious civil tax investigations into fraud and avoidance: Code of Practice 9 (Contractual Disclosure Facility) and Code of Practice 8; Chapter 3 Tax fraud: criminal investigations and prosecution - direct tax; Chapter 4 Contentious tax planning enquiries; Chapter 5 Offshore tax investigations, disclosure campaigns and tax cooperation agreements;
Section 2: The progress of an enquiry:
Chapter 6 Practical aspects of an enquiry; Chapter 7 Selection for enquiry; Chapter 8 Conduct of enquires; Chapter 9 Meetings with HMRC; Chapter 10 Conduct of a full enquiry; Chapter 11 Settlement negotiations; Chapter 12 Alternative Dispute Resolution;
Section 3: Practical issues:
Chapter 13 Voluntary disclosures; Chapter 14 Private records: are they 'private'?; Chapter 15 Business record checks and examinations; Chapter 16 HMRC's information powers; Chapter 17 Preparing reports for HMRC; Chapter 18 Penalties for error; Chapter 19 Penalties for failure to notify; Chapter 20 Tax appeals; Chapter 21 Accelerated payment notices and follower notices; Chapter 22 Tax debt collection; Chapter 23 Complaints about HMRC;
Section 4: VAT, NIC, employment income:
Chapter 24 VAT aspects; Chapter 25 National Insurance aspects; Chapter 26 Employment income.
More details
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
978-1-78451-308-5 (9781784513085)
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
New editions

Book
11/2018
Bloomsbury Professional
€208.33
Article is exhausted; no reprint
Previous edition

Mark McLaughlin
HMRC Investigations Handbook 2015/16
Book
02/2016
Bloomsbury Professional
€163.68
Shipment within 10-20 days
Person
General Editor: Mark McLaughlin
Mark McLaughlin is a consultant with his own practice, Mark McLaughlin Associates Ltd
Mark McLaughlin is a consultant with his own practice, Mark McLaughlin Associates Ltd
Content
Section 1: Investigations and enquiries
Chapter 1 HMRC enquiries: outline and recent developments
Chapter 2 Serious civil tax investigations into fraud and avoidance: Code of Practice 9 (Contractual Disclosure Facility) and Code of Practice 8
Chapter 3 Tax fraud: criminal investigations and litigation - direct tax
Chapter 4 Contentious tax planning enquiries
Chapter 5 Offshore tax investigations, disclosure campaigns and tax cooperation agreements
Section 2: The progress of an enquiry
Chapter 6 Practical aspects of an enquiry
Chapter 7 Selection for enquiry
Chapter 8 Conduct of enquires
Chapter 9 Meetings with HMRC
Chapter 10 Conduct of a full enquiry
Chapter 11 Settlement negotiations
Chapter 12 Alternative Dispute Resolution
Section 3: Practical issues
Chapter 13 Voluntary disclosures
Chapter 14 Private records: are they 'private'?
Chapter 15 Inspection Powers
Chapter 16 HMRC's information powers
Chapter 17 Preparing reports for HMRC
Chapter 18 Penalties for error
Chapter 19 Penalties for failure to notify
Chapter 20 Tax appeals
Chapter 21 Accelerated payment notices and follower notices
Chapter 22 Tax debt collection
Chapter 23 Complaints about HMRC
Section 4: VAT, NIC, employment income
Chapter 24 VAT aspects
Chapter 25 National Insurance aspects
Chapter 26 Employment tax issues
Chapter 1 HMRC enquiries: outline and recent developments
Chapter 2 Serious civil tax investigations into fraud and avoidance: Code of Practice 9 (Contractual Disclosure Facility) and Code of Practice 8
Chapter 3 Tax fraud: criminal investigations and litigation - direct tax
Chapter 4 Contentious tax planning enquiries
Chapter 5 Offshore tax investigations, disclosure campaigns and tax cooperation agreements
Section 2: The progress of an enquiry
Chapter 6 Practical aspects of an enquiry
Chapter 7 Selection for enquiry
Chapter 8 Conduct of enquires
Chapter 9 Meetings with HMRC
Chapter 10 Conduct of a full enquiry
Chapter 11 Settlement negotiations
Chapter 12 Alternative Dispute Resolution
Section 3: Practical issues
Chapter 13 Voluntary disclosures
Chapter 14 Private records: are they 'private'?
Chapter 15 Inspection Powers
Chapter 16 HMRC's information powers
Chapter 17 Preparing reports for HMRC
Chapter 18 Penalties for error
Chapter 19 Penalties for failure to notify
Chapter 20 Tax appeals
Chapter 21 Accelerated payment notices and follower notices
Chapter 22 Tax debt collection
Chapter 23 Complaints about HMRC
Section 4: VAT, NIC, employment income
Chapter 24 VAT aspects
Chapter 25 National Insurance aspects
Chapter 26 Employment tax issues