§ Mr. Lawsonasked the Chancellor of the Exchequer whether the Inland Revenue Inspectorate, or the Inquiry Branch, as a matter of policy have a system to find out how people appear to have acquired wealth when there is no obvious means of their having earned it through normal sources.
§ Mr. Robert SheldonAn inspector of taxes would naturally consider whether some critical examination should be made of any case where there was an accretion of wealth apparently inconsistent with returns or accounts that had been supplied by the taxpayer. The 203W inspector's approach will depend largely on the facts of the particular case.
§ Mr. Frank Allaunasked the Chancellor of the Exchequer if he will take steps to reduce tax evasion and avoidance by British individuals and companies operating through the Channel Islands and the Isle of Man.
§ Mr. Robert SheldonI am aware of the possible use of these islands for evasion and avoidance of tax. These questions are continuously under review and I will bring forward any necessary proposals at a suitable time. My hon. Friend will be aware that the current Finance Bill includes proposals designed
PROFITS AND OTHER INCOME AFTER DEDUCTING INTEREST AND TAX* £million All Companies Industrial and Commercial Companies Basis 1 Basis 2 Basis 3 Basis 1 Basis 2 Basis 3 1961 … … 7,647 3,526 2,647 3,452 3,331 2,467 1962 … … 3,449 3,339 2,397 3,250 3,140 2,215 1963 … … 4,127 3,990 2,990 3,921 3,784 2,803 1964 … … 4,739 4,501 3,429 4,527 4,289 3,238 1965 … … 5,051 4,795 3,625 4,804 4,548 3,404 1966 … … 4,781 4,479 3,204 4,532 4,230 2,985 1967 … … 4,582 4,433 3,108 4,304 4,155 2,865 1968 … … 5,173 4,698 3,284 4,861 4,386 3,014 1969 … … 5,192 4,594 3,032 4,920 4,322 2,810 1970 … … 5,183 4,275 2,499 4,813 3,905 2,192 1971 … … 5,948 5,082 3,044 5,409 4,543 2,584 1972 … … 7,155 6,069 3,771 6,481 5,395 3,195 1973 … … 10,374 7,772 5,112 9,479 6,877 4,345 1974 … … 11,469 6,573 3,283 10,584 5,688 2,561 1975 … … 12,331 8,325 4,035 11,279 7,273 3,313 * Trading and non-trading income (see below) arising in the United Kingdom, plus income from abroad net of taxes paid abroad, less profits due abroad, less interest payments, less payments of United Kingdom taxes on income. Since the balance shown of income is before payment of dividends, the figures of tax payments deducted exclude the advance corporation tax associated with dividend payments after 6th April 1973. Trading and non-trading income is defined where trading profits are: Basis 1 before providing for depreciation and stock appreciation; 2 before providing for depreciation but after providing for stock appreciation; 3 after providing for depreciation, using the estimates of "capital consumption" in the national accounts and after providing for stock appreciation.