FS50118390: Difference between revisions

From FOIwiki
Jump to navigationJump to search
(XML import)
(CSV import)
Line 1: Line 1:
{{DNSummaryBox
{{DNSummaryBox
|dn_ref=FS50118390
|dn_ref=FS50118390
|dn_date=19/11/2007
|dn_date=19 November 2007
|dn_pa=Her Majesty's Revenue and Customs
|dn_pa=Her Majesty's Revenue and Customs
|dn_summary=n 31(1)(d) (assessment or collection of any tax or duty). Having reviewed the withheld information the Commissioner has decided that HMRC appropriately relied upon section 31 when refusing to supply the information.
|dn_summary=The complainant requested copies of HMRC’s internal guidance on the issuing of determinations to taxpayers who had failed to submit a self-assessment tax return not already published on its website. HMRC refused to provide the complainant with withheld guidance because it considered it to be exempt from disclosure on the basis of section 31(1)(d) (assessment or collection of any tax or duty). Having reviewed the withheld information the Commissioner has decided that HMRC appropriately relied upon section 31 when refusing to supply the information.
|dn_url=http://www.ico.gov.uk/upload/documents/decisionnotices/2007/fs_50118390.pdf
|dn_url=http://www.ico.gov.uk/upload/documents/decisionnotices/2007/fs_50118390.pdf
}}
}}
{{DNDecision
{{DNDecision1
|dnd_section=FOI 31
|dnd_section=FOI 31
|dnd_finding=Not upheld
|dnd_finding=Not upheld
}}
}}

Revision as of 22:25, 15 May 2010


Decision Summary

  • Case Ref: FS50118390
  • Date: 19 November 2007
  • Public Authority: Her Majesty's Revenue and Customs
  • Summary: The complainant requested copies of HMRC’s internal guidance on the issuing of determinations to taxpayers who had failed to submit a self-assessment tax return not already published on its website. HMRC refused to provide the complainant with withheld guidance because it considered it to be exempt from disclosure on the basis of section 31(1)(d) (assessment or collection of any tax or duty). Having reviewed the withheld information the Commissioner has decided that HMRC appropriately relied upon section 31 when refusing to supply the information.
  • View PDF of Decision Notice: [1]

Template:DNDecision1