Course Details

In this session, Andrew Walker, Matt Taylor and Paul Marcroft cover the following topics:

  • Update on HMRC and recent performance

This section of the webinar will provide a high-level summary of HMRC’s performance during its last financial year and provide more insight into what the following areas mean for the delegates and their clients: 

  • Headline results of HMRC’s compliance activities during the last 12 months, including their recovery from the impact of the Coronavirus Pandemic.
  • Proposed compliance activities for the next 12 months and beyond.
  • The change in approach to the management of taxpayers’ debts post pandemic.
  • Taxpayer service level performances.
  • Current and future resourcing plans.

 

  • HMRC’s changing approach to compliance activity

We will explain why HMRC is changing the way it enforces taxpayer compliance and what it means for us as advisors and our clients by covering the following topics:

  • An explanation of the tax gap, how it is measured and the biggest risks to the Exchequer.
  • HMRC shifting the onus of compliance to the taxpayer and their advisor.
  • Voluntary compliance and proactive taxpayer engagement.
  • HMRC’s increasing reliance on data analytics and artificial intelligence.
  • Joint initiatives and working with other tax authorities to prevent and detect fraud.

 

  • Insight into the Corporate Criminal Offence (CCO)

The introduction of the Corporate Criminal Offence in September 2017 effectively introduced an obligation for incorporated bodies to police the activities of their employees and, by association, the tax affairs of third parties they engage with. The CCO is a perfect example of HMRC shifting the compliance burden onto the taxpayer, and we will discuss what this provision means for corporate clients and what advisors should be advocating in that respect. Following this session you will understand the broad nature of the CCO and be able to talk to your clients about the proactive steps they need to take in order to protect their companies from a strict liability criminal prosecution.

 

  • Focus on Cross-taxes enquiries

A significant tool in its approach to the compliance of mid-sized companies is HMRC’s use of cross-taxes enquiries. We will explain what this type of enquiry entails and the procedures that will be followed. This session will provide you with the awareness of the considerations that should be made by you as the advisor to ensure the process runs as smoothly and efficiently as possible, but with your client gaining the most appropriate protection from HMRC and yet cooperating fully with HMRC in seeking a resolution. 

  • Enhanced Powers and Offshore Matters

HMRC’s recent contribution to the withdrawal of the banking licence of the Euro Pacific Bank is clear evidence of its continue focus on offshore tax evasion, as are the associated civil and criminal investigations currently underway.  We will discuss HMRC’s interests in this respect, as well as other current initiatives intend to drive a culture of offshore tax compliance in the UK.

CPD Course Speaker

RSM UK

Matt Taylor

Matt is a tax dispute partner at RSM UK with over 25 years’ experience of successfully helping clients resolve tax disputes with HMRC. Beginning is career as an HMRC inspector, he joined RSM from a big four accountancy firm where he spent 19 years advising corporates, HNWI and Partnerships.

He has expert knowledge of HMRC’s enquiry powers and processes. Matt’s expertise also includes negotiating Time to Pay agreements with HMRC for clients.

Matt also has expertise in advising clients in the sports and entertainment industry including football and rugby clubs, governing bodies and multinational media firms.

RSM UK

Andrew Walker

Andrew has worked in professional practice for 16 years and is focused on tax risk and investigations. He brings specialist perspective in areas of interaction with HMRC. Tax disputes and investigations can be a very worrying and stressful time - Andrew works with clients and advisors finding the right strategy to achieve the best settlement available in the most efficient manner.

Andrews’ work covers local compliance investigations, information requests, significant penalty issues, through to specialist investigations enquiries conducted under COP 8 and 9. He has undertaken a significant amount of work using HMRC’s disclosure initiatives, in particular work under the Liechtenstein Disclosure Facility (LDF). Andrew has represented several clients in the tax tribunal process and has taken part in a number of Alternative Dispute Resolution (ADR) cases which have come more to the fore as a tool to be used in settling contentious enquiry disputes.

RSM UK

Paul Marcroft

Paul is a tax dispute resolution specialist, focussing on providing support to clients in all forms of interaction with HMRC, including formal investigations and proactive disclosures. Paul has significant expertise in managing risk associated with the Corporate Criminal Offence.