VAT Mini One Stop Shop – Part 3

Casper Winkelman
October 29, 2019

What to Expect Next

In Parts One and Two of this series on the VAT MOSS scheme for digital services we provided a background, considerations for applying and a recent update on the existing MOSS scheme. This recent update is the first stage that will pave the way for a smooth transition to the new VAT rules for e-commerce in the European Union (EU).  In this third and final article, we will the second stage expected to become into effect from 1 January 2021. 

What to expect in 2021?

In 2021 the Mini One Stop Shop (MOSS) will transition to a One Stop Shop (OSS) scheme extending to include other services and goods.  The current scheme only applies to telecommunication, television and radio broadcasting and electronically supplied services.   The 2021 non-Union scheme for suppliers established outside the EU will be extended to include all types of cross-border services to final consumers in the EU. The 2021 Union scheme for suppliers established in the EU will also be extended to cover all types of B2C services as well as intra-EU distance sales of goods to final consumers in other EU countries.

E-Commerce of goods within the EU

In particular the decision to bring the distance sales of goods under the OSS scheme will have a big impact.  Under the current distance selling rules, a seller supplying goods to a private person in another EU country must pay and report VAT in the country of arrival if the seller has exceeded the distance sales threshold.  This involves having to register, keep a local administration and submit local periodical returns in each EU country in which they sell goods in a cross-border B2C relationship.  

From 2021 this administrative burden can be avoided by applying the OSS scheme.  Under OSS, VAT is still due in the EU country of arrival, but the reporting of this VAT is simplified.  The seller can, under this scheme, submit periodic OSS returns in one single EU country of OSS identification avoiding the need to register in all the other EU countries.  The simplification for small sellers introduced this year applies as well.  If turnover of this seller is below the threshold of €10,000, then this seller can charge the VAT of the EU country of departure.  For this threshold both the turnover of services as distance sales of goods have to be taken into account.

E-Commerce of goods from outside the EU

For distance sales of imported goods coming from outside the EU with a value up to €150 a special Import OSS scheme (I-OSS) will be created.  When this special I-OSS scheme is used, the seller will charge and collect the VAT at the point of sale to EU customers and declare and pay all that VAT via the I-OSS return to one single EU country of OSS identification. These imported goods then benefit from a VAT exemption upon import into the EU, allowing a fast release at customs.

Where the special I-OSS is not used for imported goods with a value up to €150, a second simplification mechanism will be available. Import VAT will be collected from the final consumer by the customs declarant (e.g. couriers and postal operators) which will pay it to the customs authorities via a monthly electronic declaration.

For import of goods with a value over €150, the Special IOSS cannot be applied.  This means the import of the goods into the EU is taxed and a full customs declaration will be required.

New role for e-commerce platforms

Another big change from 2021 is that marketplaces or platforms facilitating the sale of goods through an electronic interface will, in certain situations, be responsible for paying VAT on e-commerce transactions.  Based on a deemed supply provision, these platforms will be considered to supply the goods to a final consumer instead of the actual supplier using the platform.  Consequently, these marketplaces will have to collect and pay the VAT on these sales. In this respect it is important to distinguish the situation for supplies of goods within the EU and supplies of imported goods coming from outside the EU as mentioned above. The actual supplier making use of the platform is deemed to have supplied the goods to the platform.

With this extended scope, it is clear that the growing overall revenue collected under the MOSS scheme, as published by European Commission in September this year, will substantially increase from 2021.  In particular for distance sellers of goods, marketplaces and postal operators it is advisable to start preparing for these changes now.

Take Action

To stay informed of news and VAT regulatory changes, follow us on LinkedIn and Twitter.

Sign up for Email Updates

Stay up to date with the latest tax and compliance updates that may impact your business.

Author

Casper Winkelman

Casper is responsible for building out and managing the VAT line of products and solutions available on the Sovos Intelligent Compliance cloud platform. Casper is a tax lawyer with over 20 years of international VAT experience, beginning his career as a consultant for Arthur Andersen and before serving as VAT director for KPNQwest, a Pan-European telecommunication company. Casper also co-founded VAT Resource, a successful VAT services company that was acquired by Sovos 2014. Casper holds a master’s degree in tax law from the University of Leiden, The Netherlands.
Share this post

North America ShipCompliant
April 17, 2024
3 Reasons Craft Beer Drinkers Want DtC Shipping

While only 11 states and D.C. allow direct-to-consumer (DtC) beer shipping, more than half of Americans ages 21+ (51%) would purchase more craft beer if they were able to have it shipped directly to their home. In this blog, we discuss the top three reasons why craft beer drinkers want beer sent directly to them […]

North America ShipCompliant
April 17, 2024
States Are Looking to Expand DtC Spirits & Beer Availability

2024 is shaping up to be a banner year for legislative efforts related to the direct-to-consumer (DtC) shipping of beverage alcohol. While these proposed laws span a range of legal issues, the primary driver of the bills is expanding access to the DtC market for beer and spirits producers. Currently, 47 states and D.C. permit […]

North America Tax Information Reporting
March 22, 2024
Market Conduct Annual Statement Reminders and More

On the second Wednesday of each month, Sovos experts host a 30-minute webinar, Water Cooler Wednesday, to share the latest updates on statutory filings. In March, Sarah Stubbs shared information about the many filings due after March 1, from Market Conduct Annual Statements to health supplements for P&C and life insurers writing A&H businesses and […]

North America ShipCompliant
March 21, 2024
How Producers Can Build a DtC Shipping Market

Direct-to-consumer (DtC) shipping has become one of the leading sales models for businesses of all sizes and in all markets. The idea of connecting directly with consumers is notably attractive, as it helps brands develop a personal relationship and avoid costly distribution chains. Yet, for all its popularity, DtC is often a hard concept to […]

North America ShipCompliant
March 20, 2024
Key Findings from the 2024 DtC Beer Shipping Report

This March, Sovos ShipCompliant released the fourth annual Direct-to-Consumer Beer Shipping Report in partnership with the Brewers Association. The DtC beer shipping report features exclusive insights on the regulatory state of the direct-to-consumer (DtC) channel, Brewers Association’s perspective and key data from a consumer preferences survey. Let’s take a deeper dive into some of the […]