clearance application by email. Attachments to emails should be no larger than 2MB. Please don't send selfextracting zip files as our software will block them. Using email HMRC cannot guarantee the security of emails you send to us or we send to you over the internet. Any information you send us by email is at your own risk. It is important that you have assessed the risks of using emailHMRC Statutory Clearance applications. Tax Faculty Team 27 Jan 2015 Revised standard text to use if you want an email from HMRC to grant permission. We have been advised by one of our volunteers that HMRC has issued revised standard text to use if you want an email response to a statutory clearance application. We also hmrc clearance application email
An application letter to HMRC seeking its view under the nonstatutory clearance procedure. The application can be made by both business and individual taxpayers in relation to all taxes (direct and indirect).
Application for a clearance certificate Name and address of the person to whom HMRC Capital Taxes should send the certificate. Send this form to us only when you believe It is possible to make an application to HMRC for advance clearance that the proposed transaction will be treated in a particular way by the legislation.hmrc clearance application email el of detail required in the clearance application. Often the exact details of the transaction elements are not important in the context of the clearance sought. For example, share exchange clearances ask if HMRC is satisfi ed that the transactions are being carried out for commercial reasons and not to avoid tax. In most cases, details
For nonstatutory clearance applications, HMRC helpfully provides the following checklists giving details of the information to be provided, and details of where to send the application (unless the applicant has a customer relationship manager, in which case the application should be sent directly to them), depending on the type of clearance hmrc clearance application email If the letter covers more than one clearance application, the letter should be submitted to all the relevant HMRC teams and it should be made clear on the letter to which teams it has been submitted. Taxpayer's ability to rely on clearances. The general principle is that taxpayers should be able to rely on statutory and nonstatutory clearances provided the application for clearance If you have any doubt about the authenticity of an email you receive which claims to come from the Clearance and Counteraction Team, email: to check. If you would like HMRC to reply by email then say so in your email and give the following statement: This Practice Note sets out when it is appropriate to submit a nonstatutory clearance (NSC) application, the purpose of a NSC, the content a NSC application is required to provide and what it should not cover, when a NSC can be relied on and practical considerations where HMRCs view and the taxpayers view of the application of tax