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Meijburg ยท about 1 month ago
The Advocate Generalโs opinion in the Stellantis Portugal case (Cโ603/24) clarifies that transfer pricing adjustments between group companies are to be treated as adjustments to the original prices of earlier sales, not as separate repair services. Consequently, corrective invoices must be issued and the VAT taxable base of those earlier supplies must be adjusted. The final CJEU judgment is expected later in 2026.
Loyens & Loeff ยท about 1 month ago
The AdvocateโGeneral has clarified that transferโpricing (TP) adjustments made for direct tax purposes do not attract VAT, but TP adjustments that are contractually agreed within intraโgroup supplies of goods are within the scope of VAT. In the Stellantis Portugal case (Cโ603/24), the Portuguese tax authorities imposed VAT assessments on Stellantis Portugal for TP adjustments, and the AdvocateโGeneral advised the European Court that such adjustments should be treated as price adjustments for vehicles. Businesses are urged to review their TP policies and implement VAT considerations in their ERP systems.
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