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CARF determines that the exemption that benefits companies located in the Sudene area of operation applies to IRPJ, but does not extend to CSLL

July 10, 2019

By Marcelo Blecher

In a recent judgment, the 1st Ordinary Panel of the 2nd Chamber of the 1st Section of CARF, unanimously, adopted the understanding that the exemption that benefits companies established in the area of operation of the Superintendence of Development of the Northeast (“Sudene”) applies to Corporate Income Tax (“IRPJ”), but does not extend to the Social Contribution on Net Income (“CSLL”), due to the lack of legal provision.

In the case at hand, the counselors analyzed IRPJ and CSLL assessments relating to the 4 (four) quarters of the 2004 calendar year, plus an official fine of 75% and SELIC, due to discrepancies between the declared values.

According to the vote of the Rapporteur, Counselor Luis Henrique Marotti Toselli, it would be proven and demonstrated that the profit from the exploration of the calendar year of 2004 corresponds to the Real Profit itself, which guarantees the company's right in relation to the exemption from the IRPJ charged.

According to the Rapporteur, the IRPJ exemption applies when the taxpayer, in addition to presenting a specific Ordinance issued by Sudene, demonstrates that the profit from the exploration corresponds, in the assessed period, to the actual profit itself.

Regarding the incidence of CSLL, the Rapporteur adopted the understanding that the STF has already decided that the immunity provided for in art. 149 of the Constitution, introduced by Constitutional Amendment 33/2001, does not cover social contributions, since there is an ontological distinction between the concepts of profit and revenue.

Finally, it is important to highlight that on that same occasion the counselors recognized the non-incidence of IRPJ and CSLL on revenues from sales destined for the Manaus Free Trade Zone (“ZFM”), given that in the case at hand the taxpayer has a final court decision recognizing the right not to offer such amounts for taxation.

The Mazzucco & Mello Advogados tax team is available to provide any clarification on this topic.

If you have any questions about the topics covered in this publication, please contact any of the lawyers listed below or your usual Mazzucco&Mello contact.

André Martins

+55 11 3090-9195

Diogo Ferraz

11 3090-9195

John Paul Toledo of Rezende

(11) 3090-9195

Christel Cunningham

+55 11 3090-9195

Antonio Carlos Cantisani Mazzuco

+55 11 3090-9195

Alexander David

+55 11 3090-9195

Leonardo Neri Candido de Azevedo

+55 11 3090-9195

Rafael de Mello and Silva de Oliveira

(11) 3090-9195

Victor Antony Ferrari

+55 11 3090-9195

Israel Carneiro Cruz

+55 11 3090-9195

Ivan Kubala

+55 11 3090-9195

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