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Section 46(3)

CFA 2017
Criminal Finances Act 2017 · United Kingdom

It is a defence for B to prove that, when the foreign tax evasion facilitation offence was committed— B had in place such prevention procedures as it was reasonable in all the circumstances to expect B to have in place, or it was not reasonable in all the circumstances to expect B to have any prevention procedures in place.

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Source: legislation.gov.uk · retrieved 2026-09-04