Skip to content
International Adviser
  • Contact
  • Subscribe
  • Regions
    • United Kingdom
    • Middle East
    • Europe
    • Asia
    • Africa
    • North America
    • Latin America
  • Industry
    • Tax & Regulation
    • Products
    • Life
    • Health & Protection
    • People Moves
    • Companies
    • Offshore Bonds
    • Retirement
    • Technology
    • Platforms
  • Investment
    • Equities
    • Fixed Income
    • Alternatives
    • Multi Asset
    • Property
    • Macro Views
    • Structured Products
    • Emerging Markets
    • Commodities
  • IA 100
  • Best Practice
    • Best Practice News
    • Best Practice Awards
  • Media
    • Video
    • Podcast
  • Directory
  • My IA
    • Events
    • IA Tax Panel
    • IA Intermediary Panel
    • About IA

ANNOUNCEMENT: Read more financial articles on our partner site, click here to read more.

hmrc introduces alternative route for tax dispute

5 Sep 13

Individual taxpayers and SMEs will now be able to request to settle a tax dispute with HM Revenue & Customs through an arbitrage process, rather than through tribunal.

Individual taxpayers and SMEs will now be able to request to settle a tax dispute with HM Revenue & Customs through an arbitrage process, rather than through tribunal.

Following a successful pilot, the “Alternative Dispute Resolution” process can now be requested by individuals and SMEs, whether or not an appealable decision has been made by HMRC, with the dispute then proceeding to mediation conducted by an impartial HMRC facilitator.

According to Mike Down, head of the tax risk and investigation management group at Baker Tilly, the move is a welcome one as it “less adversarial and, perhaps more importantly, quicker way of resolving a dispute with HMRC without having to resort to taking appeals to the Tax Tribunal”. In addition, it will reduce costs for taxpayers.

Down explained that the mediation follows a defined process whereby each side begins by setting out its case, the facilitator then conducting some “shuttle diplomacy” to bring out answers to points in dispute and to identify possible areas of compromise on the facts and interpretation. Finally, everyone is brought back together to try to reach agreement.
 

Tags: Baker Tilly | HMRC

Share this article
Follow by Email
Facebook
fb-share-icon
X (Twitter)
Post on X
LinkedIn
Share

Related Stories

  • Industry

    UK government refuses to commit to ‘pensions tax lock’

    FCA building and logo

    Industry

    FCA launches consultations on UK crypto rules

  • Industry

    ASIC suspends MW Planning’s licence over failure to replace banned manager linked to Shield

    Industry

    Finance firms could face FOS complaints for unsuitable targeted support


NEWSLETTER

Sign Up for International
Adviser Daily Newsletter

subscribe

  • View site map
  • Privacy Policy
  • Terms and Conditions
  • Contact

Published by Money Map Media – part of G&M Media Ltd Copyright (c) 2024.

International Adviser covers the global intermediary market that uses cross-border insurance, investments, banking and pension products on behalf of their high-net-worth clients. No news, articles or content may be reproduced in part or in full without express permission of International Adviser.