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Tax Policy Management
Tax Policy Management
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Growth Management
Growth Management
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Tax audit and litigation
Tax audit and litigation
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Definition of a strategic and secure transfer pricing structure
Definition of a strategic and secure transfer pricing structure
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Assistance in the development of international activities and operational reorganisations – “Business restructuring”
Assistance in the development of international activities and operational reorganisations – “Business restructuring”
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Defense of practices and assistance in the context of tax audits and their follow-up from a litigation viewpoint
Defense of practices and assistance in the context of tax audits and their follow-up from a litigation viewpoint
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Annual declaration and documentation obligations
Annual declaration and documentation obligations
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Domestic and international VAT applicable to your company's flow
Domestic and international VAT applicable to your company's flow
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Banking and financial VAT, VAT in the insurance sector
Banking and financial VAT, VAT in the insurance sector
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VAT related to real estate registration fees
VAT related to real estate registration fees
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VAT in the public and non-profit / association sector
VAT in the public and non-profit / association sector
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Tax audit, tax litigation and relations with the Tax authorities
Tax audit, tax litigation and relations with the Tax authorities
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Applicable rules for invoicing
Applicable rules for invoicing
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Customs issues related to your company's international flows
Customs issues related to your company's international flows
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French VAT registration and compliance obligations
French VAT registration and compliance obligations
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Payroll tax
Payroll tax
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Other indirect taxation
Other indirect taxation
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Company transfer diagnosis
Company transfer diagnosis
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Distribution strategy : Implementing and structuring
Distribution strategy : Implementing and structuring
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Distribution activities digitalisation
Distribution activities digitalisation
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Relations between suppliers and distributors
Relations between suppliers and distributors
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Contractual policy : etablishing and structuring
Contractual policy : etablishing and structuring
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Controls and litigation regarding payment terms
Controls and litigation regarding payment terms
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Organising and securing commercial relations with consumers
Organising and securing commercial relations with consumers
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Data protection - GDPR
Data protection - GDPR
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Commercial Leases
Support in the management and contract management of commercial leases.
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Traditional Services offered
Traditional Services offered
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Health at work and quality of life at work
Health at work and quality of life at work
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HR Management Audit
HR Management Audit
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HR Engineering and People Change
Implementing managerial solutions in line with the company's strategic challenges
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Management of HR compliance and internal investigations (harassment, discrimination, and whistleblowing)
Management of HR compliance and internal investigations (harassment, discrimination, and whistleblowing)
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Advice on legal structuring
Advice on legal structuring
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Day to day company management
Day to day company management
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Companies reorganisation
Companies reorganisation
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Mergers & Acquisitions - Private Equity
Mergers & Acquisitions - Private Equity
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Changes in shareholder structure - Securities issue
Changes in shareholder structure - Securities issue
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Governance and legal risks management
Governance and legal risks management
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Development of an international mobility policy
Development of an international mobility policy
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Coordination of reporting obligations for employees in a mobility situation
Coordination of reporting obligations for employees in a mobility situation
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Advice on social security
Advice on social security
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Assistance in labour law
Assistance in labour law
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Management and protection of your portfolio of property rights
We put the most appropriate protection policy in place for our clients’ intellectual property rights.
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Securing your projects: advisory and drafting of agreement services
We advise you on the feasibility of your project and the securing of your intellectual property and IT rights.
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Enforcement of your rights: pre-litigation and litigation
Enforcement of your rights: detection of infringement, pre-litigation and litigation
A significant tax issue in case of installing or expanding activity abroad, the definition of the VAT permanent establishment (which differs from that in Corporate Income Tax), enables localizing services and determining who is liable for VAT.
According to the OECD, the new workplace organization due to the COVID-19 sanitary crisis (i.e. telecommuting) could necessitate the evolution of the definition of the permanent establishment for Corporate Income Tax purposes.
Would new Corporate Income Tax criteria have an impact in VAT?
Presently, to characterize a VAT permanent establishment, a sufficient degree of permanence and a structure apt, from the point of view of human and material resources, are required to either:
- Provide services (supplier permanent establishment).
- Receive services (recipient permanent establishment).
The evolution of the caselaw on the VAT permanent establishment is nevertheless a source of legal insecurity.
Effectively, the question of whether the mere possession of a subsidiary in a Member State constitutes a VAT permanent establishment has never been decided by the EU Court of Justice (“ECJ”), except on very specific facts.
Thus, in the case DFDS (20 February 1997) the ECJ held that a subsidiary constituted a VAT supplier permanent establishment since:
- It had a minimal consistence with human and material resources reunited in a permanent manner and,
- Acted as a simple auxiliary, without independence, of its parent company (tour operator) which held the entirety of its capital and imposed numerous contractual obligations upon it.
More recently in the case Dong Yang Electronics (7 May 2020), concerning toll-manufacturing services on circuit boards belonging to a Korean company that had a Polish subsidiary, the ECJ held that the Polish subsidiary did not constitute a VAT recipient permanent establishment in Poland considering that, to determine the place of establishment of the recipient of the services provided, the service provider was not bound to examine the contractual relationships between the Korean parent company and its Polish subsidiary, but:
- The nature and use of the service rendered and then,
- If the contract, the purchase order, and the VAT number communicated by the recipient lead to analyzing the local establishment as the recipient of the services and,
- If the local establishment pays for the services.
If this is not the case, the service provider can consider that the services are supplied to the foreign parent company.
Accordingly, the presence in a Member State of a permanent establishment of a company established outside the EU cannot be deduced by the service provider from the sole fact that its client possesses a subsidiary in the EU Member State and the supplier, for its determination of who the recipient is, is not bound to inquire into the contractual relationships between the two entities.
Indeed, the essential criteria considered in VAT is the economic and commercial reality.
The ECJ’s decision joins that of the French High Administrative Court, the Conseil d’Etat in the case Bayer Cropscience (9 October 2015), which held that the effective beneficiary of a service (i.e. the real client who will use and benefit from the service) is the recipient and not the contracting party (i.e. direct client who signed the contract and to whom the service is invoiced).
Finally, this notion of VAT permanent establishment is not fixed. As proof, a question is currently pending before the ECJ in the case Titanium Ltd, C-931/19, in order to determine whether the mere passive rental of a building situated in Austria (i.e. without human resources) characterizes a VAT permanent establishment in Austria.
In this evolving context, our firm is here to help with French, as well as international, VAT permanent establishment analyses to help ensure the security of the VAT rules you apply.
Authors: Elvire Tardivon-Lorizon, Partner, Attorney-at-law, Amanda Quenette, Attorney-at-law and Cyril Cohen.