The government has published a group of regulations commencing the latest changes to the offshore penalty regime.
The government has published a group of regulations commencing the latest changes to the offshore penalty regime. Legislation in Finance Bill 2016 increased the minimum penalties for offshore inaccuracies involving ‘deliberate’ and ‘deliberate and concealed’ behaviour by 10% of the potential lost revenue. Taxpayers will be required to provide additional details on how the evasion took place to secure maximum penalty reductions. A new asset-based penalty will apply to evasion using offshore transfers and structures. The naming provisions for deliberate defaulters will be strengthened to protect only those taxpayers who make full unprompted disclosures and extended to individuals who use a company or other entity to evade UK tax.
The government has published a group of regulations commencing the latest changes to the offshore penalty regime.
The government has published a group of regulations commencing the latest changes to the offshore penalty regime. Legislation in Finance Bill 2016 increased the minimum penalties for offshore inaccuracies involving ‘deliberate’ and ‘deliberate and concealed’ behaviour by 10% of the potential lost revenue. Taxpayers will be required to provide additional details on how the evasion took place to secure maximum penalty reductions. A new asset-based penalty will apply to evasion using offshore transfers and structures. The naming provisions for deliberate defaulters will be strengthened to protect only those taxpayers who make full unprompted disclosures and extended to individuals who use a company or other entity to evade UK tax.