Turkey: A new period for tax audits

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Turkey: A new period for tax audits

intl-updates-small.jpg

Future audits undertaken by the Turkish tax authorities will become more transparent and be handled differently.

gozluklu.jpg
bicer.jpg

Burçin Gözlüklü

Ramazan Biçer

The Turkish Minister of Finance, Nağci Ağbal, announced that tax audits will be handled in a new way at a recent press conference. Although he did not clarify what this new way would be, Ağbal said that the Turkish tax authorities will be more transparent during future audits.

In this regard, Turkish tax authorities amended the tax audit guidelines in late September, which introduced new rights for taxpayers to defend themselves during and after the tax audits.

Increased cooperation during audits

In our experience, tax auditors may sometimes request certain documents or data not relevant to a specific tax audit, which increases the burden on the taxpayer. However, the new guidelines will mean that tax auditors will not be able to ask such information if it is not relevant to the subject of the ongoing tax audit.

The changes also intend to increase the cooperation between the tax auditor and taxpayer by allowing the taxpayer to see the tax audit report before it is finalised so that they can develop their arguments against to auditor's claims. In the past, taxpayers only heard the auditor's findings for the first time during the discussion with the report evaluation committee, which is responsible for scrutinising the auditor's report.

In addition, the taxpayer can discuss the auditor's findings and the auditor has to inform the taxpayer about the potential results of the audit report in advance of finalising the audit report.

Taxpayers' new rights

Under the changes, taxpayers will also have the following rights during tax audits:

  • Taxpayers can electronically deliver the documents and data requested by tax auditor;

  • Taxpayers can present explanations and objections that make up a detailed part of the tax audit report;

  • In order to understand the tax auditor's findings and provide their arguments, draft minutes on tax audit findings must be shared with the taxpayers two days before the final audit, including the ultimate conclusions, are mutually signed by the taxpayer and the tax auditor;

  • Taxpayers can choose to defend themselves before the report evaluation committee; and

  • The summarised tax audit report must be forwarded to the taxpayer to inform them of the findings before being heard by the report evaluation committee.

Report evaluation committee

In Turkey, a tax audit is not finalised by a tax audit report.

Where the tax reassessment amount is up to TRY 10 million ($3 million), the audit reports are evaluated by a local report evaluation committee. In cases where the amount is higher than TRY 10 million, the central report evaluation committee must assess the findings within the report.

Where the tax auditor's findings and assessment are not in line with Turkish tax legislation, the report evaluation committee may invalidate and revoke the report. Although this is legally possible, in practice, evaluation committees rarely revoke a tax auditor's report.

In terms of the new guidance, the change is that the taxpayer will know the auditor's findings and claims before being heard by the committee. This change will be quite beneficial for taxpayers to develop strong arguments.

Burçin Gözlüklü (burcin.gozluklu@centrumauditing.com) and Ramazan Biçer (ramazan.bicer@centrumauditing.com)

Centrum Consulting

Tel: +90 216 504 20 66 and +90 216 504 20 66

Website: www.centrumauditing.com

more across site & shared bottom lb ros

More from across our site

Levine, who served under the Joe Biden administration, led the US’s negotiations on the OECD’s two-pillar solution
The deal to acquire ITR's parent company is expected to complete by the end of May 2025
JBS, the biggest meat company in the world, allegedly used Luxembourgian ‘mailbox companies’ to avoid taxes between 2019 and 2022
Despite the conviction of Jessa Dabalos, the Tax Practitioners’ Board’s investigative work continues with five outstanding PwC scandal probes
Heads of tax need to push their teams forward as strategic business advisers to add value across their organisations, says Sandy Markwick
Scott Bessent reportedly felt undermined by Musk naming Gary Shapley as acting IRS commissioner; in other news, Baker Tilly will combine with a top 15 US firm
The promise of nine years’ tax certainty and a ‘rational and pragmatic’ government process makes APAs a no-brainer, Indian tax advisers tell ITR
Despite garnering significant revenues from multinationals, Italy’s digital services tax presents pressing double taxation issues, say Stefano Simontacchi and Francesco Saverio Scandone of BonelliErede
ITR’s research shows that in-house tax counsel in Asia also feel underserved by their advisers’ international networks
World Tax global head of research Jon Moore tells ITR how his team spots standout submissions, and gives early statistical insights into this year’s entries
Gift this article