【实用】出口退税“自产”与“视同自产”如何区分?一文带您了解
蓝色柳林财税室·2025-11-17 10:14

Core Viewpoint - The article discusses the importance of distinguishing between "self-produced" and "deemed self-produced" goods for production enterprises in relation to export tax refund policies, emphasizing the implications for tax treatment and compliance [1][2]. Group 1: Tax Refund Policy - Production enterprises exporting self-produced goods, deemed self-produced goods, and providing processing services can apply for a tax refund policy that includes exemption from value-added tax (VAT) and the ability to offset input VAT against payable VAT [2]. - The policy allows for the refund of any unutilized input VAT after the offset [2]. Group 2: Definition of Deemed Self-Produced Goods - Deemed self-produced goods include specific categories of externally purchased goods that meet certain conditions, particularly for enterprises with a clean compliance history regarding tax refunds and invoices [3][4]. - Enterprises must not have engaged in fraudulent activities related to export tax refunds or VAT invoices to qualify for deemed self-produced status [4]. Group 3: Conditions for Deemed Self-Produced Status - To qualify for deemed self-produced status, enterprises must meet at least one of the following criteria: 1. Hold general VAT taxpayer status 2. Have been in continuous operation for two years or more 3. Maintain an A-level tax credit rating 4. Achieve sales exceeding 500 million yuan in the previous year 5. Ensure that externally purchased goods are of the same type or related to self-produced goods [4]. Group 4: Practical Guidance - Enterprises are advised to confirm with tax authorities in advance whether their externally purchased or processed goods meet the criteria for deemed self-produced status [6].