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14 January 2019 Italy introduces new digital services tax The Italian Budget Law 2019 (Law no.145/2018), published in the Official Gazette (G.U.) on 1 January 2019, introduces a “new” tax on digital services (Italian Digital Services Tax or the DST). This new indirect tax replaces the previous measures provided by the Budget Law 2018 regarding the introduction of a so-called “WEB Tax,” which never entered into force due to the lack of enactment of the implementing decree. The DST will apply with respect to digital transactions performed, individually or at the group level, by taxable persons either established or non-established in Italy, in the course of their business activity. The Ministry of Finance is required to issue an implementing decree within the following four months (i.e., by 30 April 2019) and the DST will apply as from the 60th day after its publication in the Official Gazette. The Italian Tax Authority is further required by the law to issue guidelines on the application of the DST. In line with the proposed European Union (EU) DST,1 the Italian DST is an indirect tax with the following characteristics:
Detailed discussionSubjects liable to the DSTAny company or group of companies meeting certain quantitative requirements and supplying digital services exceeding a threshold of revenues is liable to the new tax. Namely, the tax applies on digital services supplied by businesses (companies and groups) which, during the fiscal year, jointly realize:
Non-established businessesItalian established and non-established taxable persons already registered for VAT purposes do not require a specific registration number for DST purposes. Only those taxable persons not established or VAT registered in Italy will be required to apply for a DST registration number to fulfill the consequent tax obligations. It is worth highlighting that Italian resident businesses belonging to the same group of nonresident taxable subjects are jointly responsible for the collection of DST. In line with the proposed EU DAT, the Italian DST will apply to revenues on the following digital services: b) Providing a multilateral digital interface allowing users to get in contact and interact, even to facilitate the supply of goods or services The criteria for determining where the users should be deemed to be located differs depending on the kind of digital services provided and, namely: a) Advertising routed on a digital interface to its users: if the users access the advertising with a device which is located in Italy during the relevant period b) Providing a multilateral digital interface for contact, interact, supply: if the users use a device located in Italy to access to the platform, during the relevant period or if they use such a device for opening a digital account for their transactions, in the same period c) Transmission of collected data: if the data are collected from users using a device located in Italy, and transmitted during the relevant period It is worth noting that the law does not consider the place of residence of the users for determining the place of supply, as the place where the device is located the main aspect to be considered. Digital services rendered between parties belonging to the same group are not relevant for DST purposes if one party is the controller of the other or if they have the same controlling entity. The introduction of an Italian DST represents the latest in a series of national measures in the area of Digital Services Taxes. The ECOFIN grouping of the finance ministers of the 28 EU Member States will meet on 12 February to discuss the European Commission’s DST proposal. The outcome of that meeting will in turn impact and influence the tax policies of individual Member States. Taxpayers are therefore advised to closely monitor developments in this area. Studio Legale Tributario, Rome
Studio Legale Tributario, Milan
Studio Legale Tributario, Treviso
Studio Legale Tributario, Turin
Ernst & Young LLP, Italian Tax Desk, New York
Document ID: 2019-5061 |