Commentary

I11.331 Proceedings before the First-tier Tribunal—introduction

IHT, trusts and estates

I11.331 Proceedings before the First-tier Tribunal—introduction

Proceedings before the First-tier Tribunal

I11.331 Proceedings before the First-tier Tribunal—introduction

In the majority of cases, after notice of appeal has been given HMRC and the taxpayer will seek to settle their differences by correspondence and discussion. As a result many appeals, made necessary by virtue of the 30-day time limit in order to keep the position open for negotiations, are settled by agreement before any hearing is necessary. In other cases, the taxpayer may choose to use the review procedure described above—see I11.312A.

If however the taxpayer does not wish to pursue the review procedure or is dissatisfied with

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