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Where Taxpayers and Advisers Meet
HMRC to Close EBT Settlement Opportunity March 2015
14/08/2014, by HM Revenue & Customs, Tax News - HMRC Administration, Practice and Methods
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HMRC warns deadline date for EBT Settlement Opportunity; joint announcement with Liechtenstein.

A settlement opportunity for employers who have used Employee Benefit Trusts (EBT) to avoid tax will close in March 2015, HM Revenue and Customs (HMRC) announced today.                        

The initiative, which launched in April 2011 following the introduction of the new Disguised Remuneration rules in Finance Act 2011, has raised £800 million in tax and National Insurance Contributions from around 700 employers who previously used the trusts as tax avoidance vehicles.

Users who wish to settle will need to have notified HMRC of their intention by 31 March 2015 and have entered the agreement and paid all amounts due by 31 July 2015. More information on the EBT settlement opportunity is available on HMRC’s website at Employee Benefit Trusts, Settlement Opportunity

HMRC expects others to settle in the near future and will pursue those who don’t do so through the courts as it does not believe that schemes using EBTs to avoid paying Income Tax and National Insurance work.

Some individuals seeking to use EBTs to avoid tax have tried to use the Liechtenstein Disclosure Facility (LDF) – under which individuals with undeclared offshore assets can regularise their tax affairs – to find another route to pay less tax. HMRC and the Liechtenstein government have today announced changes to the LDF which, among other things, mean that users of EBTs that are caught by the Disclosure of Tax Avoidance Scheme (DOTAS) rules cannot take advantage of the full terms of the facility. HMRC’s joint declaration with the Liechtenstein government today means that the full favourable terms of the Liechtenstein Disclosure Facility (LDF) will no longer be available to users of EBT and other avoidance arrangements disclosed under the Disclosure of Tax Avoidance Schemes (DOTAS).

These users are still able to access the limited terms (immunity from prosecution and a bespoke service with a single point of HMRC contact) but will gain no financial advantage from settling under the LDF. Those EBTs wishing to settle will now need to consider which relevant settlement opportunity will suit their needs, but have a limited time to take advantage of the EBT Settlement Opportunity and should act now. More information on the LDF is available here Liechtenstein Disclosure Facility

Jennie Granger, HMRC’s Director General of Enforcement and Compliance, said:

“Time is running out for anyone who used an EBT to avoid paying tax and still hasn’t settled with HMRC through the settlement opportunity.

EBTs are avoidance vehicles and we will continue to pursue those who do not pay up. I would encourage all employers who have used these schemes to take this opportunity to settle under these clear terms. They can hold out and litigate, but they may well end up paying more tax, as well as big legal fees. They are also up against HMRC’s strong litigation record – we win around 80% of avoidance cases heard in the courts.

This settlement opportunity is just one of a host of ways HMRC is tackling avoidance, not least Accelerated Payments which mean that many people who have avoided tax will now have to pay up quicker than ever before. This puts them on a level pegging with the vast majority of people who have nothing to do with tax avoidance and pay their tax up front.”

About The Author

HM Revenue & Customs is the UK's primary taxing authority, responsible for the administration (and collection) of direct and indirect taxes and duties, and certain benefits.

For further information please visit the HMRC Website and in particular the About Us section.

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