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1240810
registered interest false more like this
date less than 2020-10-06more like thismore than 2020-10-06
answering body
Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name Treasury more like this
hansard heading Tax Avoidance more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask the Chancellor of the Exchequer, how many people subject to the Loan Charge were offered settlements (a) four weeks, (b) three weeks, (c) two weeks, (d) one week and (e) less than one week before the 30 September settlement deadline. more like this
tabling member constituency Haltemprice and Howden more like this
tabling member printed
Mr David Davis more like this
uin 99521 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2020-10-14more like thismore than 2020-10-14
answer text <p>At the time of the independent review of the Loan Charge, about 12,000 employers and individuals had the opportunity to avoid the Loan Charge by concluding settlements, having provided all the relevant information to HMRC by 5 April 2019. Early indications are that as at 2 October about 60 percent of these taxpayers have either settled, informed HMRC that they had instead decided to report and pay the Loan Charge, or have been taken out of scope of the Loan Charge following the Government’s changes in response to the independent review.</p><p> </p><p>HMRC are continuing settlement discussions with a relatively small number of taxpayers who were prevented from meeting the 30 September deadline by exceptional circumstances beyond their control, such as recent hospitalisation. HMRC’s criteria for continuing settlement discussions beyond the 30 September deadline are:</p><ul><li>The taxpayer had actively engaged in the settlement process until the occurrence of a factor, and</li><li>The factor is entirely outside the control of the taxpayer, and</li><li>The factor prevented the taxpayer from settling by 30 September, and</li><li>Absent the factor, the taxpayer would have been able to settle by 30 September, and</li><li>The taxpayer will be able, and agrees, to settle within a defined period of no more than 3 months after the 30 September.</li></ul><p> </p><p>HMRC do not hold aggregate data on when individual taxpayers were issued with settlement offers.</p>
answering member constituency Hereford and South Herefordshire remove filter
answering member printed Jesse Norman more like this
grouped question UIN
99519 more like this
99520 remove filter
question first answered
less than 2020-10-14T13:40:19.373Zmore like thismore than 2020-10-14T13:40:19.373Z
answering member
3991
label Biography information for Jesse Norman more like this
tabling member
373
label Biography information for Sir David Davis more like this
1240808
registered interest false more like this
date less than 2020-10-06more like thismore than 2020-10-06
answering body
Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name Treasury more like this
hansard heading Tax Avoidance more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask the Chancellor of the Exchequer, what proportion of loan charge cases remained unsettled after the 30 September deadline. more like this
tabling member constituency Haltemprice and Howden more like this
tabling member printed
Mr David Davis more like this
uin 99519 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2020-10-14more like thismore than 2020-10-14
answer text <p>At the time of the independent review of the Loan Charge, about 12,000 employers and individuals had the opportunity to avoid the Loan Charge by concluding settlements, having provided all the relevant information to HMRC by 5 April 2019. Early indications are that as at 2 October about 60 percent of these taxpayers have either settled, informed HMRC that they had instead decided to report and pay the Loan Charge, or have been taken out of scope of the Loan Charge following the Government’s changes in response to the independent review.</p><p> </p><p>HMRC are continuing settlement discussions with a relatively small number of taxpayers who were prevented from meeting the 30 September deadline by exceptional circumstances beyond their control, such as recent hospitalisation. HMRC’s criteria for continuing settlement discussions beyond the 30 September deadline are:</p><ul><li>The taxpayer had actively engaged in the settlement process until the occurrence of a factor, and</li><li>The factor is entirely outside the control of the taxpayer, and</li><li>The factor prevented the taxpayer from settling by 30 September, and</li><li>Absent the factor, the taxpayer would have been able to settle by 30 September, and</li><li>The taxpayer will be able, and agrees, to settle within a defined period of no more than 3 months after the 30 September.</li></ul><p> </p><p>HMRC do not hold aggregate data on when individual taxpayers were issued with settlement offers.</p>
answering member constituency Hereford and South Herefordshire remove filter
answering member printed Jesse Norman more like this
grouped question UIN
99520 remove filter
99521 more like this
question first answered
less than 2020-10-14T13:40:19.287Zmore like thismore than 2020-10-14T13:40:19.287Z
answering member
3991
label Biography information for Jesse Norman more like this
tabling member
373
label Biography information for Sir David Davis more like this