HMRC's Fraud Investigation Service unit is the elite branch of HMRC tax investigators. The Fraud Investigation Service deal with suspected serious tax fraud and what HMRC believes to be aggressive tax avoidance.
The HMRC Fraud Investigation Service (FIS) department is basically split into three different units dealing with the following:
There are approximately 300 staff within the department who solely focus on prosecution work. Although the majority of cases dealt with by HMRC in FIS are done on a civil basis, with the rise in political pressure to prosecute more people this unit has expanded significantly over the last few years. When FIS are initially considering matters where they suspect serious tax fraud they always consider whether there is sufficient evidence and public interest to prosecute.
HMRC have a prosecution policy which is contained at HMRC Criminal Investigation Policy
The most common cases we have seen recently involve people who have mislead HMRC about the extent of their tax evasion at an early stage where HMRC already have evidence to contradict this.
Over the last 10 years HMRC have offered a number of disclosure facilities and encourages people to bring any offshore tax matters up to date. There has been considerable worldwide pressure with regards to tax havens and offshore tax matters including a number of incidences of information coming into the public domain (HSBC and Mossack Fonseca being two of the more notable ones).
The G20 countries have put significant pressure on the tax havens and over 100 have signed up to exchange information on a multilateral level where they are aware someone has investments or income which has a link to a UK address.
This information is now starting to arrive in the UK and Fraud Investigation Service has set up a well staffed unit to deal with this information and to chase cases of suspected tax fraud. As this is a political hot potato it is expected that they will be pushing on this matter and that there will be a few high profile prosecutions.
HMRC believe that there are still a number of people who commit serious tax fraud whilst not having an offshore asset or bank account.
This is undoubtedly true and probably most instances of serious tax fraud do not involve offshore assets. Thus, HMRC realise that despite all the political pressure to get high profile offshore matters dealt with, there is a need to keep a focus on solely UK matters.
Therefore Fraud Investigation Service has a specific unit to seek information and to investigate people who have no link to offshore tax evasion. As the Government has vowed to crack down on these matters, this unit is also well staffed with experienced tax investigators.
This has been a particularly lucrative market for HMRC Fraud Investigation Service where they will turn up unannounced at a business with a team of tax investigators covering all taxes from Corporation and Income Tax to National Minimum Wage specialists and VAT investigators.
HMRC will then conduct an enquiry which can last for days at the business site (or take a significant amount of information with them). These are often very sector specific and will involve several visits to a number of businesses in a geographical area.
These visits have generated a number of Contractual Disclosure Facility enquiries and are an area where the approach has been extended from solely an FIS matter to a practice that is being adopted by HMRC in other investigations.
Fraud Investigation Service generally deal with cases using Code of Practice 9 under the Contractual Disclosure Facility which is generally issued when HMRC are undertaking at tax investigation into tax fraud.
FIS only deal with Code of Practice 9 tax investigations using the Contractual Disclosure Facility where HMRC believe that the tax at risk is over £75,000. Although in accusing someone of tax fraud by the issue of a Code of Practice 9 tax investigation, HMRC are not always right. The Fraud Investigation Service unit have extensive access to data from financial institutions, land registry and many other sources and powerful data mining tools which they use to identify cases where they suspect serious tax fraud.
Anyone whom has received a letter from HMRC's Fraud Investigation Service unit, especially under the Contractual Disclosure Facility and Code of Practice 9 should seek professional representation from a tax advisor experienced in dealing with these matters whether under the Contractual Disclosure Facility, Code of Practice 9 or Code of Practice 8.
HMRC's Fraud Investigation Service also deal with any prosecutions for tax fraud and any letter received from them should be taken very seriously.
Gilbert Tax have extensive experience in dealing with HMRC's Fraud Investigation Service unit.
Gilbert Tax understands that people sometimes make mistakes in their dealings with HMRC and that HMRC make mistakes in dealing with taxpayers. Many people do not know how to deal with HMRC or who to turn to for help resolve the tax dispute.
Gilbert Tax is a firm of tax advisors who specialise in resolving people's problems with HMRC. We have extensive expertise in dealing with all forms of tax investigations and tax disputes as well as with taking matters to the Tax Tribunal where agreement cannot be reached.
Gilbert Tax deal both directly with the individual who is under enquiry and also work with many firms of accountants supporting them in dealing with HMRC disputes and advising them on how to handle HRMC to get the best result.
The fact is that proper management of HMRC is the best way of reducing the tax, interest and penalty as well as the time taken in resolving any tax dispute.
Gilbert Tax are none judgemental and rigorously defend your position within the scope and parameter of the law. We take control and manage the process to minimise the interruptions that any form of tax investigation causes to an individual's life and business.
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