May 15 2026
| AMENDMENT | LEGAL / OPERATIONAL EFFECT |
| New Mediation Mechanism [NEW] | Taxpayers with an appealable decision may request referral to a neutral, independent conciliator within 30 days of filing their appeal. The process is voluntary, confidential, and must be completed within 60 days. The conciliator facilitates and may issue non-binding professional opinions but cannot impose a decision. A signed settlement agreement is legally binding and enforceable. Fraud-related disputes are expressly excluded. |
| 10-Year Limitation Period for Fraud Assessments [AMENDED] | The current Proclamation permits assessment amendments "at any time" in fraud cases — creating significant uncertainty. The amendment introduces a definitive 10-year limitation period from the date of the self-assessment declaration, even in fraud cases. The 5-year limit for non-fraud cases is retained. |
| Conditional Tax Clearance Certificate [NEW] | Taxpayers with outstanding disputed liabilities who have filed a formal dispute or entered an approved instalment plan may obtain a conditional certificate valid for business licence renewals, public tenders, vehicle registration, and bank loans. It does not extinguish the underlying tax debt and can be revoked by directive. |
| Evidence Restriction at Appeal — 20% Penalty [AMENDED] | Taxpayers are generally barred from introducing new evidence at appeal not submitted during the original assessment. Narrow exceptions apply where evidence was unavailable earlier or force majeure prevented submission. If admitted and tax is reduced, a 20% penalty applies on the prior underpayment. |
| Formal Error Correction Procedure [NEW] | A structured mechanism to correct errors in assessment notices covering arithmetic errors, newly discovered evidence, legal misinterpretation, and other material errors. Correction window: 5 years from original notice or 1 year from discovery. Any notice correctable only once per error type. |
| Higher Receipt & Withholding Tax Penalties [PENALTY] | Failure to issue a receipt: ETB 100,000 per missing receipt. Underreporting sale price: ETB 100,000 fine + 5–7 years' rigorous imprisonment. CEO, chief accountant, and responsible officers each personally liable for ETB 2,000 fine for withholding tax failures, subject to a due-diligence defence. |
| Codified Definition of Tax Fraud [AMENDED] | Formal statutory definition covering: false records, concealment of income, fictitious invoices, false declarations, document destruction, dual-book keeping, and fraudulent claims. Directors and finance managers deemed to have personally committed the offence if they authorised, instructed, or assisted the act. |
| Foreign Investor Remittance — Tax Clearance Required [NEW] | Banks must verify a valid tax clearance certificate confirming payment of taxes on dividends, profit shares, or disposal proceeds before processing any outward remittance for foreign investors. |