HMRC have released a report on the ‘Use of marketed tax avoidance schemes in the UK (2019 to 2020)'. It provides an update on what they know about the tax avoidance market, how big a problem it is and what they are doing to combat it.

HMRC estimates that from 2019 to 2020 around £1.5 billion was lost to tax avoidance, with an estimated £36.9 billion of additional tax collected from tackling avoidance, evasion and other non-compliance.

The report highlights that HMRC have now successfully challenged nine schemes on the grounds that they are notifiable under the Disclosure Of Tax Avoidance Scheme (DOTAS) regime with one win protecting tax of over £40 million, forcing the promoter to disclose the names and addresses of over 1,000 high earners.

Finance Act 2021 includes measures to:

HMRC report that these new powers have already enabled HMRC to issue over 130 information notices to gather evidence of organisations who are enabling the creation and marketing of tax avoidance, as well as issuing five DOTAS notices to promoters. Names of these promoters will be published in early 2022.

Further measures are included in Finance Bill 2022 including:

Useful guides on this topic

Disguised remuneration loan charge
What is disguised remuneration? What is the loan charge? When does the loan charge apply? Will the loan charge affect me?

Promoters of Tax Avoidance Schemes (POTAS)
Who is a Promoter? What are the Promoters of Tax Avoidance Scheme rules?  What does this mean for promoters, intermediaries and clients?

DOTAS: Disclosure of Tax Avoidance Schemes
What are the Disclosure of tax avoidance schemes (DOTAS) rules? When should you disclose your use of a tax avoidance scheme? What are the consequences of non-disclosure? How are penalties calculated?

Joint & Several Liability of Company Directors etc
When can Company Directors or LLP Members become jointly and severally liable for company or LLP tax liabilities and penalties? Finance Act 2020 has provided HMRC with wide-ranging new powers. What are the conditions and what are the rights of appeal?

General Anti-Abuse Rule (GAAR) (subscriber)
This guide looks at the key features of the General Anti-Abuse Rule (GAAR) contained within the Finance Act 2013, what areas of tax it covers and what you need to know about the provisions it contains when considering tax planning.

External link

HMRC report: Use of marketed tax avoidance schemes in the UK (2019 to 2020) 


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