HM Revenue and Customs (HMRC) have published a draft Statutory Instrument which proposes a highly controversial change to the 2003 PAYE Regulations: the ability for HMRC to change a PAYE tax code by stealth. It is not clear from any documentation why it needs to make this change.

HMRC have requested that any comments on the draft legislation are provided by email to PAYE Policy by 3 August 2014.

Your comment is needed

A draft template for comment is included below, please email to: This email address is being protected from spambots. You need JavaScript enabled to view it.

Dear Sir

With reference to proposed amendments to PAYE regulation 19 (see http://www.hmrc.gov.uk/drafts/inc-si-draft-regs.pdf)

I wish to strongly object to the proposed amendment to 19(3) of the 2003 Regulations which proposes that when HMRC makes an amendment to an employee’s tax code, notice of the amended code must be given to the employee no later than 30 days after the date on which notice of the amended code was issued to the employer.

I feel that no change is needed to the current wording which states that HMRC “must give notice of the amended code to the employee by the date on which the notice…is issued to the employer”.

I cannot see any reason why employees should be kept in the dark about changes to their PAYE coding nor why HMRC should feel that it can change any employee’s coding notice apparently by stealth.

Yours faithfully

[name & details]