1. Overview

Since the UK left the EU, the arrangements for how the UK trades with the EU have changed. We are keen at the Office for National Statistics (ONS), working with colleagues in HM Revenue and Customs (HMRC) and elsewhere, to keep users updated on the changes to trade data collection and how it may impact our trade statistics.

In March 2022, we wrote about the latest HMRC collection changes in our blog, Understanding the latest changes to UK trade figures with the EU. These changes had an impact on trade data uncertainty, notably goods imports, which we have been exploring.

This article concludes and summarises the recent HMRC investigations and provides users with an update on the estimated effect the data changes have had and how to use trade figures following these changes.

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2. UK exports to the EU

In January 2022, HM Revenue and Customs (HMRC) implemented an operational change, which amended the assumed departure period of goods exports from 5 to 15 days. An automated departure is now triggered if a trader does not submit a departure notification within 15 days (previously five days) of pre-lodging the export with HMRC.

Because of this change, there were 10 fewer days of EU exports data (where there is an assumed departure date) recorded in January 2022. This resulted in a break in the timeseries for UK exports to the EU. The following months were not affected as the equivalent number of days that were moved into the month, have also been moved out.

Of the £2.9 billion (19.4%) decrease in exports to EU countries in January 2022, HMRC analysis estimates that approximately £2 billion was attributed to this operational change. It is not possible to break down the effects to country or commodity level data. Therefore, caution should be taken when interpreting UK exports to the EU for periods that include January 2022 data.

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3. UK imports from the EU

In 2021, UK imports from the EU continued to be collected through the Intrastat survey. EU member states moved their data collection to customs declarations. However, HM Revenue and Customs (HMRC) maintained the Intrastat survey because of the introduction of Staged Customs Controls (SCC). The purpose of SCC was to ease the friction of importing non-controlled goods after the end of the EU transition period by allowing the customs declaration to be delayed up to 175 days from the point of import. This potential delay in the customs declaration would have resulted in a data gap for UK trade statistics in 2021.

HMRC stopped updating the Intrastat register in 2021. The sample for Intrastat is identified from Value Added Tax (VAT) data, which, prior to 2021, was updated at the beginning of each year, and then monitored throughout as traders trigger the Intrastat thresholds. However, a further consequence of the new trading relationship was that the VAT data source changed, meaning HMRC was unable to identify new traders to update the Intrastat register. For 2021, around 700 traders were added to the sample where, typically, we can expect around 1,700 traders to be added or removed.

With the ending of SCC at the start of 2022, Great Britain (GB) imports from the EU moved from the Intrastat survey to customs import declarations. However, Northern Ireland (NI) imports from the EU continued to be collected through the existing Intrastat survey.

HMRC has investigated the change in data collection methods for UK imports from the EU, comparing the components of trade for January to March 2022 with January to December 2021 (Table 1).

In the first three months of 2022, 80.6% of trade by value was carried out by the same Intrastat traders as in 2021. This covers traders importing into GB from the EU collected from the customs declaration, and traders completing Intrastat returns for imports into NI from the EU. A further 0.3% came from the estimation of Below Threshold Trade Allocation (BTTA) and non-response, still required for NI imports from the EU. 

We also know that the "all other traders" component, 14.2% of the trade value in 2022, is a mix of:

  • Below Threshold Trade Allocation (BTTA), that was previously estimated and is now being drawn directly from customs declarations; identifying the traders who would have been in the below threshold pre-2021, shows this accounts for 5.8% in 2022, this confirms that the BTTA monthly proportions are broadly consistent with the estimates used pre-2022 under the Intrastat survey (approximately 7.0%)

  • traders who are non-VAT Economic Operators Registration and Identification (EORI) registered, which is approximately 1.5%; this group would not have been accounted for under the Intrastat survey, as it was designed to only measure trade by VAT-registered businesses

  • traders who are VAT registered and using a new or different EORI number that does not match a previous Intrastat identifier and are either; new businesses trading for the first time in 2022; established businesses who never registered or responded to Intrastat in 2021; or established businesses who had responded to Intrastat in 2021 but using a different identifier.

The EORI VAT registered component accounts for 6.9% of the trade value in 2022. HMRC investigations confirm there is evidence that around half of this group are existing traders that are using a new EORI number.

Approximately 0.5% is categorised as Parcel Post, which is collected through the customs system but was not previously collected through the Intrastat survey.

Around 3.1% is low value trade, which are customs declarations under £873 and under 1000kg, and  are aggregated into a single commodity code for trade statistics. This may or may not have been captured within the Intrastat survey, as it would depend on whether the trader was registered for Intrastat.

The remaining 1.3% consists of external data sources for gas, electricity, and some crude oil movements which has always been included.

The conclusion of these investigations suggests that, when comparing the components that form the trade in goods data in 2022, there is a discontinuity of around 6% by value between the two compilation methods. This discontinuity is a combination of data not previously collected under the Intrastat survey, such as Parcel Post and non-VAT registered traders, along with a group of traders using a new or different identifier for their customs declarations.

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4. Other changes to UK Trade

Users should be aware of the potential impact of Staged Customs Controls (SCC) for the compilation of UK trade statistics in 2022.

In 2021, the introduction of SCC allowed the customs declaration of Great Britain (GB) imports of non-controlled goods from the EU to be reported up to 175 days after the date of import. There is a potential for the over-recording of imports in 2022, when the delayed customs declarations under SCC is submitted. It is not possible to distinguish which customs declarations are associated with SCC and therefore, we are unable to remove or make adjustments to the trade statistics.

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6. Comparing customs declaration data with the Intrastat survey data

The customs declaration is an enhanced data source compared with the Intrastat survey. This includes wider coverage, for example:

  • including declarations from traders below the Intrastat and Value Added Tax (VAT) thresholds

  • collecting more data elements such as country of origin on imports

  • removing the need to estimate for non-response and for Below Threshold Trade Allocation (BTTA)

HM Revenue and Customs (HMRC) has concluded its investigations in assessing the transition from the Intrastat survey to custom declarations data. There is little evidence that maintaining the Intrastat survey in 2021 for Great Britain (GB) imports from the EU led to any under recording of trade.

Therefore, 2021 data, as published, remain our best estimates of trade for those periods. There are broad, comparable overlaps between traders and values reported when comparing results from the Intrastat survey and custom declarations. The overall discontinuity is around 6% of trade by value.

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7. Future developments

We recognise that there are heightened levels of uncertainty around our latest estimates of trade flows. There have been multiple changes in data collection and operational procedures since the UK left the EU, which make it difficult to cleanly compare trends over time. This article aims to give users a sense of the likely size of the changes in how data are collected. These, along with supply chain impacts and ongoing challenges arising from the global coronavirus (COVID-19) pandemic results in a complicated trade narrative. We are continuing to assess the effect these impacts are having on our trade estimates, and on the estimate of the UK economy, and will provide an update in Autumn 2022. We will keep users informed of any further changes in continuing to provide our best estimates of trade.

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Contact details for this Article

Hannah Donnarumma
trade@ons.gov.uk
Telephone: +44 1329 447648