Settlement with HMRC

For many, HMRC’s aggressive campaign has resulted in years of uncertainty and worry following multiple communications of varying complexity, hostility and more recently, accuracy.

Where this is the case, full and final settlement through one of HMRC’s settlement opportunities may seem an attractive proposition. It is important that the settlement is built on fair and robust principles which, in our experience, is often something that HMRC’s position lacks. 

Documentation and calculations will need to be checked for accuracy, adherence to legal process, penalty provision, valid notice periods and full confirmation that future liability is removed. WTT will offer HMRC a differing analysis built on factual interpretation, tax legislation and common law principles to seek a reduced settlement position. 

Following a settlement, it is important for investors to seek an exit from the scheme in a way which protects their taxable position. WTT has formulated methods for exiting partnerships in this way. 

For further information on practical application of an exit please contact us.

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Graham and Rhys have been beyond helpful and always have wise words, and most importantly they tell it straight.  I’d much rather have the truth even if its not good news than empty hope – and WTT have always given just that, straight talking and the truth.