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{"id":382515,"date":"2025-12-17T16:48:11","date_gmt":"2025-12-17T15:48:11","guid":{"rendered":"https:\/\/ga-p.com\/?post_type=publicacion&p=382515"},"modified":"2025-12-17T16:48:16","modified_gmt":"2025-12-17T15:48:16","slug":"new-audit-actions-linked-to-advanced-cooperation-mechanisms-in-tax-matters-special-reference-to-joint-audits","status":"publish","type":"publicacion","link":"https:\/\/ga-pstg.servidortemporal.net\/en\/publications\/new-audit-actions-linked-to-advanced-cooperation-mechanisms-in-tax-matters-special-reference-to-joint-audits\/","title":{"rendered":"New audit actions linked to advanced cooperation mechanisms in tax matters: special reference to \u2018joint audits\u2019"},"content":{"rendered":"
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Order PJC\/1000\/2025 of 10 September, amending Order PRE\/3581\/2007, of 10 December, establishing the Spanish Tax Agency\u2019s departments and assigning them roles and responsibilities, was published on 13 September 2025.<\/p>\n\n\n\n
In order to adapt the Tax Agency\u2019s departments roles to new mechanisms of tax-related administrative cooperation that impinge on audit activities, a new paragraph 6 has been added to Article 5(1) of the aforementioned Order of 2007 stating that the Department of Financial and Tax Audits is responsible for \u201cthe supervision, coordination and, where appropriate, participation in administrative cooperation activities carried out with tax authorities of other States and having an impact in the field of financial and tax audits, such as joint audits, simultaneous checks or the presence of officials from other States in the offices of authorities\u201d.<\/p>\n\n\n\n
This change, insofar as it refers to joint audits, must be considered in relation to the regulation introduced in Article 177 quinquies <\/em>of the Taxation Act through Act13\/2023, which amended that legal text to transpose Council Directive (EU) 2021\/514 (DAC7).<\/p>\n\n\n\n
We should recall that a joint audit is an advanced form of administrative cooperation introduced into European legislation by the aforementioned DAC7, which defines it as \u201can administrative enquiry jointly conducted by the competent authorities of two or more Member States, and linked to one or more persons of common or complementary interest to the competent authorities of those Member States\u201d. It is thus a mechanism that goes beyond the mere exchange of documents between tax authorities and whose main objective is to verify compliance with tax obligations in cross-border transactions.<\/p>\n\n\n\n
This mechanism has several precedents in various documents and reports that in some cases advocated the conduct of audit checks and enquiries in a single procedure, a position that DAC7 does not share, opting instead for the coexistence of parallel procedures in different States. Accordingly, joint audits do not constitute a common administrative procedure of the Member States concerned with the interested parties, since the latter\u2019s tax debt can only be the outcome of the respective national audits.<\/p>\n\n\n\n
In accordance with both DAC7 and the Taxation Act, joint audits have the following characteristics:<\/p>\n\n\n\n
\u2014 They are mainly applied in the field of direct taxation, excluding levies such as value added tax, excise duties and customs duties, as these have harmonised regimes in the European Union with their own control and cooperation mechanisms.<\/p>\n\n\n\n
\u2014 The main target of joint audits are multinationals with complex cross-border transactions, double taxation risk or significant transfer pricing issues.<\/p>\n\n\n\n
\u2014 A joint audit, according to DAC 7, is triggered by a request from the competent authority of one or more Member States to the competent authority of another Member State. In principle, the minimum content of the notice of commencement of the audit is not specified, but it seems that it should refer to the facts of tax significance to which the checks and enquiries will be limited. Furthermore, DAC 7 establishes that the requested competent authority has 60 days to respond to the request for a joint audit, a point that is not included in the Taxation Act.<\/p>\n\n\n\n
\u2014 Checks and enquiries relating to joint audits shall be conducted in a pre-agreed and coordinated manner. To this end, the Taxation Act provides that the Spanish tax authority shall, in all cases, appoint a representative responsible for relations with the other State or States involved in the joint audit and that, if the joint audit checks and enquiries are carried out in Spain, that representative shall be responsible for supervising and coordinating them.<\/p>\n\n\n\n
\u2014 Furthermore, officials from the various States involved in the joint audit may actively participate in the territory of the other Member States, bearing in mind that their activities shall always comply with the legislation and procedural requirements of the Member State in which such activities are carried out at any given time, and that their rights and obligations shall also be determined in accordance with the legislation of that State. At the same time, it is established that they shall not exercise any powers that would exceed the scope of the powers granted to them under the laws of their State. Therefore, the actions of such officials are subject to a double limitation.<\/p>\n\n\n\n
\u2014 It is important to note that the conduct of a joint audit does not require a common outcome once involvement is accepted, with DAC7 establishing that the authorities involved in the audit shall endeavour to agree on the facts and circumstances relevant to it, as well as to reach agreement on the tax position of the audited persons.<\/p>\n\n\n\n