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Before the advent of Real Time Information (RTI), at the end of the tax year, employers operating PAYE schemes had to report to HMRC their employees, the total that had been paid to them, the amounts of income tax and national insurance contributions (NICs) that had been deducted from those payments, and the amount of employer's NICs due. This ...
His Majesty's Revenue and Customs (commonly HM Revenue and Customs, or HMRC) [4] [5] is a non-ministerial department of the UK Government responsible for the collection of taxes, the payment of some forms of state support, the administration of other regulatory regimes including the national minimum wage and the issuance of national insurance numbers.
Re Paycheck Services 3 Ltd or Revenue and Customs Commissioners v Holland [2010] UKSC 51 is a UK insolvency law and company law case, concerning misfeasance. Facts [ edit ]
A separate Board of Stamps was created by the Stamps Act 1694.During the 18th and early 19th centuries at various times (as financial strains on the economy demanded, and Parliament allowed) stamp duties were extended above a certain threshold of sale value to cover newspapers, pamphlets, lottery tickets, apprentices' indentures, advertisements, playing cards, dice, hats, gloves, patent ...
This scheme allows a VAT registered business with a turnover of less than £150,000 (excluding VAT) per annum to pay a fixed percentage of its turnover to HMRC every 3 months. [36] The scheme is designed to reduce red tape for small business and allow new companies to keep some of the VAT they charge to their customers.
The response was the Web Continuity programme, [3] which provides automatic redirection to the UKGWA of links from UK Government web sites, in cases where the linked material has been retired. Web Continuity required UK Government website managers to work with the UKGWA to capture copies of any material about to be removed.
HMRC may then issue a determination of the tax payable, [209] which cannot be appealed – however, in practice they wait until a further six months have elapsed. Also, the most common claims and elections that may be made by a company have to be part of its tax return, with a time limit of two years after the end of the accounting period. [ 210 ]
HMRC was not unjustly enriched by a payment to discharge a tax liability because the tax liability must have been due under the statute. Even if HMRC was enriched by the value of the claimant's forgone tax relief credits, and even if the gain would not have been made but for the claimant's use of the relief, HMRC did not gain at the FII Group's ...