2024年9月04日

Full Transaction Program Established to Reduce Federal Tax Litigation

On August 30, 2024, Ordinance MF No. 1,383 was published, establishing the Full Transaction Program (PTI). The PTI provides a set of measures to reduce federal tax litigation with “high economic impact,” encouraging the Federal Government and taxpayers to settle.

Two Settlement Methods

The new program provides for two settlement methods:

  1. The first method applies only to credits under discussion at the judicial level, The credit will be based on the Reasonable Potential for Recovery of Judicialized Credit (PRJ). The PRJ is an index to be defined by the PGFN by assessing the prognosis and the degree of uncertainty of the result, as well as the average duration and recovery time of the credit.

    To request this method, the taxpayer must make the request through the Regularize system.
  1. The second modality covers credits beings discussed at both administrative and judicial levels, as long as the credits address “issues of high economic impact” listed in Annex I of the Ordinance, including the following topics: tax amortization of goodwill, the requirements for calculating and paying Interest on Equity (JCP). and the deduction of administrative and regulatory penalties from the IRPJ and CSLL calculation basis.

    To request this method, the taxpayer can apply via e-CAC. However, if the debt is already enrolled as an overdue federal liability, the taxpayer must make the request through the Regularize system.

    (It is worth noting that the Ordinance allows new topics to be added to Annex I by a joint act of PGFN and RFB. Taxpayers may also suggest new topics.)

Existing Deposits

Existing deposits linked to the debts to be settled through PTI will automatically be converted into definitive payment, and, if there is any remaining balance, the existing conditions will be applied to it.

Still to Come

Additional details regarding the regulation of the PTI—such as deadlines and conditions—will be issued.

 

 

Mayer Brown是一家全球法律服务提供商,由多个相关的独立法律实体组成,包括Mayer Brown LLP(美国伊利诺伊州)、Mayer Brown International LLP(英格兰和威尔士)、Mayer Brown Hong Kong LLP(香港有限责任合伙企业)和Tauil & Chequer Advogados(巴西法律合伙事务所)(统称为“Mayer Brown Practices”)。Mayer Brown Practices在多个司法管辖区设立,组织形式可能是法人或合伙企业。PK Wong & Nair LLC(“PKWN”)是我们在新加坡提供新加坡法律服务的律所及我们在新加坡的持牌合资律师事务所Mayer Brown PK Wong & Nair Pte. Ltd.的组成部分。有关各个Mayer Brown Practices以及PKWN的更多信息,请参见我们网站的法律声明部分

“Mayer Brown”和Mayer Brown徽标是Mayer Brown的商标。


律师广告声明:过往业绩不保证类似结果。