VAT — French Tax Code art. 283, 3
Wrongly invoiced VAT:
a new line of defence
Article 283, 3 of the French Tax Code lays down a strict rule: "any person who mentions VAT on an invoice is liable for the tax by the mere fact of invoicing it". This rule, known as the "wrongly invoiced VAT" principle, exposes suppliers to a non-recoverable net cost where they have mentioned VAT that was not due. BOFIP doctrine long made regularisation conditional on good faith. However, the BOFIP update of 8 January 2025 (BOI-TVA-DED-40-10-10) removed that condition where the risk of loss of tax revenue is eliminated, subject to a corrective invoice being sent to the customer. In parallel, the Conseil d'État confirmed in 2024 that good faith is taken into account in situations where the risk has not been eliminated. These developments open a new line of defence for businesses facing reassessments.
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