Accelerated Payment Notices (APNs)

We help you to navigate the process and achieve a positive outcome.

What APNs mean for you

Payment of the amount shown on the APN must be paid within 90 days unless representations are made to HMRC. Delaying payment leads to automatic late payment penalties or surcharges becoming due.

A follower notice can be issued when HMRC has successfully challenged the validity of a tax scheme in the tax tribunal or court. Non-compliance with a Follower Notice can lead to penalties of up to 50% of the tax outstanding, in addition to the penalties for any later payment of the APN.

Unfortunately there is no right of appeal against a Follower Notice or APN, but the appeal against the underlying tax in dispute can continue, although this does not remove HMRC’s ability to levy Follower Notice/APN penalties. The only potential remedy against the notices is by Judicial Review, stating that the Follower Notice or APN was incorrectly issued. However, this has so far been largely unsuccessful although many such cases are progressing through the courts.

Why HMRC use APNs

HMRC has taken an increasingly aggressive stance with respect to taxpayers who have participated in tax schemes. Accelerated Payment Notices (APNs) allow HMRC to demand upfront payment of tax where a taxpayer has participated in such a scheme even before the scheme itself has been tested at the Tribunal or the courts. This means that there can be a significant delay in the taxpayer receiving repayment of the funds if it is found that the scheme works.

Over 60,000 APNs have been issued since their launch in 2014, raising over £3 billion in revenue for HMRC.

When APNs can be issued

APNs can be issued to a taxpayer who is claiming an advantage from a tax arrangement if:

  • there is an open inquiry or appeal
  • the scheme was notifiable under the Disclosure of Tax Avoidance Schemes (DOTAS) rules
  • a Follower Notice has been issued to another individual who has entered into a similar scheme.

Contact us

Sean Wakeman
Sean Wakeman
Partner, Head of Tax Investigations