Posts Tagged ‘HMRC’

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Open tax consultations

May 29, 2013

Here are the four from HMRC:

Title Link Date of closure
Changes to VAT zero-rating of exports from the UK Link here 5 July 2013
National insurance and self-employed entertainers Link here 6 August 2013
A review of two aspects of the tax rules on Partnerships Link here 9 August 2013
Office of Tax Simplification: review of unapproved share schemes Link here 16 August 2013

(One day I’ll work out how to do pretty tables in WordPress, sorry!)

There are a couple of interesting things about this list, over and above my general gripes about the problems of finding them in the first place.

Note the closing dates?  The earliest one is 37 days away, and the others are 69, 72 and 79 days respectively.  The days of a three month (90 day) consultation are over, and the concern about consultations over holiday periods haven’t quite sunk in  yet.

Also… where are the rest?  Look at table 2.1 (starting on page 64 here) of Budget Policy Decisions.  Ignore the measures already announced and skip down to the heading “Growth and enterprise” and look from there to the end of the table.  I make it 29 measures from there on down which are categorised as “tax” (as opposed to spending) changes.  Then look at OOTLAR (Overview of Tax Legislation and Rates) published at the same time and go to chapter two, Future Tax Changes (start on page 18) where you will find 47 announcements, some of which will and some of which won’t lead to consultations.

Oh, and look at this, published in the same chapter, back in March:

2.1 This chapter summarises new tax changes announced in Budget 2013, where the change is to be made in Finance Bill 2014, other future finance bills, programme bills or secondary legislation. In line with the Government’s new approach to tax policy making, the vast majority of these measures will be subject to consultation. To assist those who wish to take part in tax consultations, a “tracker” will be published on the HM Treasury and HMRC websites setting out the planned dates of future consultations.

Well where’s my bloody tracker then????

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Gov.uk

May 28, 2013

What do we think about the new! improved! all-singing, all-dancing! government website, gov.uk?

I only ask because, of course, all the government’s tax consultations have been moved onto the new site, and because of the suggestion – which also became a recommendation by the House of Lords Secondary Legislation Scrutiny Committee – that there should be a single government website listing ALL consultations in the order of the date of closure.

Because – as I have previously mentioned – if you go here, to the consultation page, you have to filter first to get “consultations” from the welter of other “publications”, and then you have to filter again by department (not subject) to get HMRC and HMT consultations, and even then there’s no way of filtering out tax consultations from other Treasury consultations.

However this gives you a list of (today, at least) 19 HMRC consultations and 89 HMT consultations – but of the HMRC 19 there are only four open consultations, as against 10 “closed consultations” and four “consultation outcomes”, and HMT has 5 open consultations, 45 “consultation outcomes” and 39 “closed consultations”.  Wouldn’t it be great if you could just filter by “open consultations” and THEN by Department and get to the nine you were actually interested in?

I had assumed the functionality wasn’t there on the website and that, in response to the House of Lords Committee’s recommendations, they’d be working on it when and if resources allowed.

And then I came across this page, on Getting Involved, where there is a running tally of open consultations telling me there are, currently, 55 open consultations across the government, or at least across government departments and agencies that have moved their web presence over to the Gov.uk site.

So the functionality to identify open consultations IS there somewhere, but isn’t being used in a way that would actually be useful to the users of the site?  You’d almost think it was deliberate…

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Um… hello?

May 10, 2013

efficient secondary legislation and engagement with the public through the medium of consultation is, in my view, the very bedrock of an effective and inclusive parliamentary democracy.  (The Earl of Lytton, Hansard  11 March 2013 Column GC34)

 

Maybe I’ve just lost my google-fu, my ability to find stuff on the internet? I don’t know.  I’ve been busy with the day job (I’m a PhD student by day and a writer of science fiction and fantasy by night) so maybe I’ve taken my eye off the ball.  But it occurred to me lately that, as well as finishing off my responses to the consultation on closure of the HMRC enquiry centres (the consultation closes on 24th May and I’ve already blogged about it here, here and here.  Oh, and here.  Not to mention here.) I should also check out what other tax consultations are around and plan what work I’m going to do on this blog over the next few weeks and months.

Um… hello?

So there doesn’t seem to be a tax tracker on the HMT pages any more.  The Treasury has moved all its consultations over to the new GOV.UK website, and the links on the Treasury site now take you to the consultations search page on GOV.UK, here.

Which might be helpful, except that, at the time of writing, there are 991 documents under the “consultations” heading on that page, they include open consultations, closed consultations, and consultation responses (and there’s no way to filter by “open consultations”).  Oh, and they’re in date order – of the date they were published and not by the date which would actually be useful, ie the date that the consultation closes.  (Has anyone told the Secondary Legislation Scrutiny Committee? (see para 54 here))

Filtering this with “tax and revenue” as the topic brings up five documents, the enquiry centre closure consultation and four closed consultations.

Well OK then.  Filtering it again by department, brings up 87 documents under HMT, only three of which are open consultations. (Two on finance industry topics, the “special administration regime for payment and settlement systems”, and one on “opening up UK payments” which I may go back to, because from a cursory glance it looks to be about abolishing cheques) and – finally – a relevant one, yet another tweak to the REITs regime, the rules on Real Estate Investment Trusts.

Filtering it by department again but this time scrolling down to find HMRC brings up fifteen results.  Only one of those is an open consultation, and it’s our old friend “Supporting Customers Who Need Extra Help: A New Approach”, which is newspeak for “Closing the Enquiry Centres”

But look back at this time last year.  In April and May 2012 I was responding to a dozen open consultations resulting from Budget announcements and pointing out that there were no fewer than 21 formal consultations which were listed on the tracker as being due to open in May.

So where are the 2013 consultations?  Were there no tax changes announced in the 2013 Budget?  (They weren’t all consulted on in a fortnight via twitter while I wasn’t looking, were they???)

The HMRC Budget 2013 page says all consultations will be on the GOV.UK site.

So, um… hello?  Where are they?

 

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Citizens are stakeholders. Discuss.

September 7, 2012

I have blogged before that I think there’s something fundamentally awry in the tax consultation process.  While it’s entirely laudable that the government wants to make tax changes in a considered way, taking account of the views of people who know about the subject, I think they need to look again at Tax Policy Making: A New Approach and be explicit with us.  There’s little or no debate on the Finance Bill any more, partly because all the supposed kinks in the wording have been worked out in the consultation process – but then that means there’s little or no input from MPs in their capacity as representatives of the Ordinary Citizen – or their capacity as stakeholders for Great Britain’s fiscal and economic health and welfare.  So is the point of the New Approach just to give those affected by a tax – the people who will pay it – a chance to say something about how it’s designed?  Or is it also intended to give those affected by the outcome of a tax – the people who pay their own taxes and who rely on the tax base to provide them with the common services the country uses tax receipts to provide, but who may not pay this particular tax?  Bluntly, are we trying to crowd-source (free of charge) the paid work that policy-making civil servants in the Treasury and HMRC used to do?  And are we doing so by asking the turkeys how to administer Christmas?

So I’m replying to all the tax consultations I can, even the ones where I’m not invited to do so – because I believe that the citizen is a stakeholder in all these matters.  And the other consultation which closed yesterday, the consultation on Life Insurance: Qualifying Policies said it only wanted to hear from “Insurance companies, Friendly Societies and Advisers involved in the sale or management of Qualifying Life Insurance Policies”.  Tough.

Here’s what I sent:

This is an individual’s response and will be posted, with commentary, on my blog, http://tiintax.com

You say that the people who should read the consultation are “Insurance companies, Friendly Societies and Advisers involved in the sale or management of Qualifying Life Insurance Policies”. I believe that the government’s intention in Tax Policy Making: A New Approach was to establish a methodology for making good tax policy which included consultation as its key element, and as a matter of principle I believe that all citizens are stakeholders in the design and operation of the tax system and therefore have a stakeholding in its development.

I have concentrated on the tax impact assessment as the best way of understanding the expected outcomes of the policy change and I see that the measure is expected to have a negligible impact on the exchequer and on the wider economy and I wonder therefore what the scale of the problem identified – of life insurance being used as a tax exempt savings vehicle – might be and whether it is cost effective to legislate. It seems very strange that, at this stage in the consultation process, you are not able to give a ball park figure of the kind of tax loss you are looking to stem and it is hard to see a justification for the enactment of legislation without this.

I also see that there is expected to be a “relatively small number” of individuals and households affected but no indication is given of how these investors fall on the spectrum of protected characteristics under the equality legislation. Is this a type of investment with a broad spread of investors where the closure of the opportunity to invest and gain higher rate tax relief will impact across the board or is it used primarily by any particular group? I am surprised you feel you have given due regard to equality issues without this information, particularly since the number of providers seems small enough that I would have expected there to be little difficulty in having or obtaining good quality information.

Nor am I at all clear what you think the impact will be on small firms. You admit there will be several providers who are small firms within the meaning of the government’s small firms impact test – have you held specific discussions with them on whether their customers are more or less likely to make use of the proposed limit? I’m not at all clear from the tax impact assessment therefore that the case for legislation is made.

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Beware of the leopard: TIIN instructions

May 18, 2012

I am publishing at the end of this post (click on “read the rest of this entry”) the instructions on how to prepare a TIIN, a tax information and impact note.  They were sent to me by HMRC on 16th May 2012 in response to a Freedom of Information Act request.  The file is reproduced by a simple cut and paste from the RTF file supplied: I haven’t cleaned up the formatting or made any changes from what was sent to me.

Before you click to look, think about this.

The guidance on how to complete a regulatory Impact Assessment, the equivalent document for non-tax changes, is clear and publicly available.  This enables independent scrutiny via the Regulatory Policy Committee.

The RPC assesses impact assessments against well established guidance set out by the BRE IA Guidance, IA Toolkit, One-in, One-out Methodology, and HM Treasury’s Green Book.

Isn’t it now time that the government also made public the standard it sets itself when considering the evidence for making tax changes?  This guidance should be on the HMRC website and kept updated, so that everyone can see the contents – not hidden in the filing cabinet in the locked office behind the “beware of the leopard” sign.  Or on a retired tax inspector’s blog, for that matter!

Read the rest of this entry ?