This rule establishes a delay penalty for the late settlement of tax by an Incorporated Body, set at 1% for each 30-day period or part thereof. It specifies the application of this fine across various scenarios: late payment with a submitted declaration, non-submission of a declaration, and delayed settlement of additional tax post-assessment. The rule clarifies that the Incorporated Body is ultimately liable for the penalty, even if a third party is authorised for payment. Settling tax after an extension period voids the extension, with penalties calculated from original due dates.
Executive Rule No. 54 Concerning fines on delay of tax settlement