“To find the liability of a person (“the taxpayer”) to income tax for a tax year, take the following steps: - Step 1 Identify the amounts of income on which the taxpayer is charged to income tax for the tax year. The sum of those amounts is “total income.”
“…Having reviewed the authorities, we consider that it is helpful to elaborate the test as to the required subjective element for a discovery assessment as follows: “The officer must believe that the information available to him points in the direction of there being an insufficiency of tax.”
“The officer’s decision to make a discovery assessment is an administrative decision. We consider that the objective controls on the decision making of the officer should be expressed by reference to public law concepts. Accordingly, as regards the requirement for the action to be “reasonable,” this should be expressed as a requirement that the officer’s belief is one which a reasonable officer could form. It is not for a tribunal hearing an appeal in relation to a discovery assessment to form its own belief on the information available to the officer and then to conclude, if it forms a different belief, that the officer’s belief was not reasonable.” (Emphasis added.)
“… [it is] clear, beyond possibility of doubt, that the assessment stands, unless and until the taxpayer satisfies the Commissioners that it is wrong.”
‘(1) The individuals may make a joint declaration under this section if– (a) one of them is beneficially entitled to the income to the exclusion of the other, or (b) they are beneficially entitled to the income in unequal shares, and their beneficial interests in the income correspond to their beneficial interests in the property from which it arises.’ (2) The declaration must state the beneficial interests of the individuals in– (a) the income to which the declaration relates, and (b) the property from which that income arises. (3) The declaration has effect only if notice of it is given to an officer of Revenue and Customs– (a) in such form and manner as the Commissioners for Her Majesty's Revenue and Customs may prescribe, and (b) within the period of 60 days beginning with the date of the declaration. (4) The declaration has effect in relation to income arising on or after the date of the declaration. (5) The declaration continues to have effect until such time (if any) as there is a change in the beneficial interests of the individuals in either– (a) the income to which the declaration relates, or (b) the property from which that income arises.’