HMRC nudge letters

HMRC will shortly begin issuing letters to non-UK companies which own UK property.
There will be two types of letter –- Letters to companies which may be subject to tax as non-resident landlords or subject to tax under the ATED regime. HMRC also note that such income may be chargeable on UK residents with an interest in the company under the Transfer of Assets Abroad provisions.
- Letters to companies which have disposed of property which may be subject to charges under the Non-Resident CGT regime. Again, HMRC note that participators in the company may be subject to tax under the provisions at s3 TCGA 1992 which attribute gains to UK resident participatory.
How we can help
In the event that a company receives a nudge letter from HMRC, I would therefore recommend that an assessment of the risks which might arise is carried out before a decision on how to respond is made. In particular, signing the Certificate of Tax Position without carrying out a thorough assessment of the risks is not recommended. If you or your clients receive a letter or would like to discuss any of these matters in more detail, I would be more than happy to arrange a call or meeting to explore the issues in more detail.Code of Practice 9 (COP9)
Receiving a Code of Practice 9 (COP9) letter from HMRC is a serious matter that requires immediate attention. This letter indicates that HMRC suspects deliberate tax fraud has taken place and initiates a formal investigation. How you respond in the coming weeks can...
Tax Disputes and Investigations – December 2025
This newsletter picks up a number of issues which arose from the November budget which will be of particular interest to those involved in tax disputes. Additionally, we have focussed on some new ‘Guidelines for Compliance’ issued by HMRC which has interesting...
Tax Disputes and Investigations – July 2025
HMRC reactivates enquiries into unallowable purpose Ben Proctor HMRC has been writing to taxpayers with open enquiries involving the unallowable purpose rule at Section 441 CTA 2009. The letters invite taxpayers to reconsider their position in light of three Court of...
Tax Disputes and Investigations – November 2024
The Autumn Budget contained several high-profile measures which have obviously been the subject of considerable debate since. In this month’s newsletter, we have looked at some of the immediate announcements which may be specifically relevant for those dealing...




