New deadlines and clarifications regarding digital tax reporting, highly awaited at the end of the year
“Regarding the digital tax reporting projects, the recently published Ordinance appears to address repeated requests from the business environment: in the context of implementing the RO e-Invoicing system for B2C transactions, it is explicitly mentioned that the personal ID number (CNP) is not mandatory on invoices issued to private individuals, the obligation to comply with the RO e-VAT system requirements is postponed until 1 July 2025, and companies with Authorised Economic Operator (AEO) status will not be sanctioned for RO e-Transport reporting until the end of March 2025.”, mentioned Alexandru Stanciu, Senior Manager, Tax, Forvis Mazars in Romania.
At the same time, NAFA recently published a new RO e-Invoicing Guideline, a highly-awaited document by taxpayers, which seems to clarify many of the difficulties in using the system.
Thus, in the context where, starting with 1 January 2025, the RO e-Invoicing system will also apply to invoices issued in B2C (business to consumer) relationship, when the recipient is not identified by any identification code, invoices will be issued using a code of 13 zeros.
Another important measure introduced in the field of e-Invoicing is the obligation to report simplified invoices in the system, which were previously exempt. According to the explanatory note of the Emergency Ordinance, it is understood that there has been an increase in the number of simplified invoices. To prevent the future abusive use of certain legislative provisions, it was decided to eliminate these exemptions. At the same time, the exemption from transmitting fiscal receipts into the system remains in place, considering that the data from these receipts are already communicated by electronic fiscal cash registers (AMEF) to NAFA’s systems.
The publication of the new RO e-Invoicing Guideline provides a clearer perspective on how to draft the e-Invoices, especially regarding the codes that should be used for different types of invoices.
The authorities have provided clarifications and recommendations for the most common situations encountered in the process of implementing e-Invoicing: issuing correction invoices, invoicing on behalf and for the account of the supplier, self-billing, and the incorrect duplication of invoices. The examples mentioned in the new Guideline seem to clarify many of the questions raised by taxpayers so far, and the clarifications provided by the authorities have confirmed that, apart from the technical criteria included in the European electronic invoicing standard, the codes assigned to the invoices must be established by taking into account the actual reasoning for which the respective invoice is issued. At the same time, as the mechanism for implementing the RO e-VAT system improves, it is not ruled out that the authorities may issue new recommendations or even obligations for coding in the RO e-Invoicing system, given that it is one of the essential data sources used by NAFA.
We anticipate that all these changes will also contribute to reducing discrepancies between the pre-filled e-VAT return, a tool through which authorities believe they will identify fiscal risks more precisely, and the returns submitted by taxpayers.
The transitional period until 1 January 2025, initially set by the authorities for implementing this system, has proven to be insufficient both for taxpayers and the Ministry of Finance. As a result, a new extension has been agreed upon, pushing the deadline to 1 July 2025.
In conclusion, the requirements for digital tax reporting must remain a priority on the agenda of companies doing business in Romania, amid some uncertainty regarding when they will start seeing the beneficial effects of this digital revolution at the level of the tax administration.
-ENDS-
Contact(s)
Emilia Popa, Head of Marketing, Communication, and Business Development,
Forvis Mazars in CEE & in Romania
Emilia.Popa@mazars.ro / +40 741 111 042
Mădălina Lazăr, PR & Corporate Communication Manager, Forvis Mazars in Romania
Madalina.Lazar@mazars.ro / +40 763 385 622
About Forvis Mazars
Forvis Mazars is a leading global professional services network. The network operates under a single brand worldwide, with just two members: Forvis Mazars LLP in the United States and Forvis Mazars Group SC, an internationally integrated partnership operating in over 100 countries and territories. Both member firms share a commitment to providing an unmatched client experience, delivering audit & assurance, tax and advisory services around the world. Together, our strategic vision strives to move our clients, people, industry and communities forward.
Forvis Mazars is the brand name for the Forvis Mazars Global network (Forvis Mazars Global Limited) and its two independent members: Forvis Mazars LLP in the United States and Forvis Mazars Group SC. Forvis Mazars Global Limited is a UK private company limited by guarantee and does not provide any services to clients.
Visit forvismazars.com to learn more.
About Forvis Mazars in Romania
In Romania, Forvis Mazars has 29 years of experience in audit, tax, financial advisory, outsourcing, consulting, and sustainability. We empower over 370 people to deliver our promise to clients with confidence.
Visit forvismazars.com/ro to learn more.