Saudi Arabia announces ninth wave of Phase 2 e-invoicing integration

Local contact

EY Global

21 Nov 2023
Subject Tax Alert
Categories Corporate Tax
Jurisdictions Saudi Arabia
  • Saudi Arabia's Zakat, Tax and Customs Authority has announced the criteria for taxpayers to be included in the ninth wave of Phase 2 e-invoicing integration.
  • Taxpayers resident in Saudi Arabia, with a taxable turnover above SAR30m during the calendar year 2021 or 2022, should comply with the Phase 2 e-invoicing requirements that are effective from 1 June 2024.

Executive summary

On 17 November 2023, the Saudi Arabia Zakat, Tax and Customs Authority (ZATCA) announced on its website that taxpayers resident in Saudi Arabia, with a taxable turnover exceeding 30m Saudi Riyal (SAR30m) during calendar year 2021 or 2022, will fall within the ninth wave of Phase 2 e-invoicing integration and should comply with the Phase 2 requirements. The ZATCA will notify the impacted taxpayers in preparation for linking and integrating their electronic invoicing systems with the ZATCA's e-invoicing platform (Fatoora).

Further, the ZATCA Governor has issued Decision No. 23771 dated 30/04/1445 AH, which was published in the Official Gazette on 17 November 2023, and mentions that the taxpayers coming under the ninth wave should comply with the Phase 2 e-invoicing requirements between 1 June 2024 and 30 September 2024, inclusive of both dates.

Detailed discussion

Background

On 4 December 2020, the ZATCA introduced e-invoicing in Saudi Arabia, releasing the E-Invoicing Regulation. E-invoicing in Saudi Arabia is being implemented in two phases:

  • Phase 1, effective from 4 December 2021, mandates generation of e-invoices and e-notes, including related processing and record keeping.
  • Phase 2, effective from 1 January 2023, mandates integration of a taxpayer's system with the ZATCA, along with the transmission of e-invoices and e-notes to the ZATCA. This phase is being implemented in waves. The criteria and timelines for the first eight waves, which were previously announced, are:

Wave

Criteria

Timeline

11

Turnover of more than SAR3b during calendar year 2021

1 January 2023 to 30 June 2023

22

Turnover of more than SAR500m up to SAR3b during calendar year 2021

1 July 2023 to 31 December 2023

33

Turnover of more than SAR250m during calendar year 2021 or 2022

1 October 2023 to 31 January 2024

44

Turnover of more than SAR150m during calendar year 2021 or 2022

1 November 2023 to 29 February 2024

55

Turnover of more than SAR100m during calendar year 2021 or 2022

1 December 2023 to 31 March 2024

66

Turnover of more than SAR70m during calendar year 2021 or 2022

1 January 2024 to 30 April 2024

77

Turnover of more than SAR50m during calendar year 2021 or 2022

1 February 2024 to 31 May 2024

88

Turnover of more than SAR40m during calendar year 2021 or 2022

1 March 2024 to 30 June 2024

The ZATCA has already notified resident businesses falling under the first eight waves to comply with Phase 2 of e-invoicing as per their applicable timelines.

ZATCA announcement

Based on the latest announcements, the ZATCA will begin notifying taxpayers who fall within the ninth wave of Phase 2 e-invoicing integration, to go live within the period between 1 June 2024 and 30 September 2024, inclusive of both dates.

Implications

Resident businesses should comply with the obligations of Phase 2 e-invoicing integration based on the ZATCA notification and undertake the relevant steps in making the required changes in their information technology systems. Taxpayers should comply with the Phase 2 requirements in line with the e-invoicing regulation to preclude possible penalties.

Taxpayers who do not fall within the first eight waves of Phase 2 e-invoicing integration should monitor future announcements from the ZATCA on the integration timeline period applicable to them in subsequent waves.

 

For additional information with respect to this Alert, please contact the following:

EY Consulting LLC, Dubai
  • Aamer Bhatti, MENA Indirect Tax Leader
Ernst & Young Professional Services (Professional LLC), Riyadh
  • Mohammed Bilal Akram, Indirect Tax
  • Peter Dylewski, Indirect Tax
Ernst & Young Professional Services (Professional LLC), Jeddah
  • Adrian Smith, Indirect Tax
  • Mohsin Rehmani, Indirect Tax
Ernst & Young Professional Services (Professional LLC), Al Khobar
  • Sanjeev Fernandez, Saudi Arabia Indirect Tax Leader
Ernst & Young — Middle East, Bahrain
  • Ali Almahroos, Indirect Tax
  • Jack Sims, Indirect Tax
  • Shane Durran, Indirect Tax
Ernst & Young LLP (United States), Middle East Tax Desk, New York
  • Asmaa Ali

Published by NTD’s Tax Technical Knowledge Services group; Carolyn Wright, legal editor

For a full listing of contacts and email addresses, please click on the Tax News Update: Global Edition (GTNU) version of this Alert.