HMRC Name and Shame Full Disclosure: April 2026 New rules

HMRC’s “name and shame” full disclosure regime allows it to publish the details of businesses and individuals found to have deliberately underpaid tax. The power is statutory and remains fully operational in 2026. Where a qualifying civil penalty for deliberate behaviour becomes final, HMRC can make the default public. From April 2026, the compliance environment […]
HMRC Tax Investigation: What To Expect

HMRC tax investigations into whether a person or business have met their tax obligations vary greatly depending on the details of the individual case, from relatively informal checks to a more in-depth investigation into your tax situation. It may be that an HMRC tax investigation is opened to confirm that the information supplied in a […]