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The new strategy should clarify the circumstances in which informal resolution is an appropriate starting point, rather than automatically using informal resolution in all cases (as appears to be ESS’s current policy). 11 Annex Response: ESS will consider its approach to enforcement during the development of its next strategic plan in the light of its experience to date. This will, of course, have to be done within the context of the 2021 Act.
The new strategy should clarify the circumstances in which informal resolution is an appropriate starting point, rather than automatically using informal resolution in all cases (as appears to be ESS’s current policy). 11 Annex Response: ESS will consider its approach to enforcement during the development of its next strategic plan in the light of its experience to date. This will, of course, have to be done within the context of the 2021 Act.
The new strategy should clarify the circumstances in which informal resolution is an appropriate starting point, rather than automatically using informal resolution in all cases (as appears to be ESS’s current policy). 11 Annex Response: ESS will consider its approach to enforcement during the development of its next strategic plan in the light of its experience to date. This will, of course, have to be done within the context of the 2021 Act.
This power must be exercised at a later date to take effect. It is not the intention that checks will take place away from BCPs to navigate circumstances where the minimum requirements in Article 64 are not satisfied.
The tax banding structure and tax rate amounts are not set out in the Bill and will be delivered at a later date. Table 7 sets out current bands and rates of UK APD.