About this tool
Conservative OSS/IOSS route screening using Commission e-commerce and ViDA references. Outputs possible routes and uncertainties — never a tax liability conclusion.
EU VAT routes
Screen whether Union OSS, Non-Union OSS, IOSS, local registration, or a marketplace pathway may fit your facts.
Informational screening only. Not legal advice or a compliance guarantee. Confirm results against official guidance. This tool never asserts that you definitely owe tax.
Continue with another compliance screen.
Conservative OSS/IOSS route screening using Commission e-commerce and ViDA references. Outputs possible routes and uncertainties — never a tax liability conclusion.
Union OSS typically covers EU-established sellers of B2C intra-EU distance sales of goods (and certain services). Non-Union OSS is commonly relevant for non-EU sellers of B2C services / digital services into the EU. IOSS is the import one-stop shop candidate for non-EU B2C goods consignments at or below EUR 150. None of these labels mean you definitely owe tax.
Classic B2B supplies, stock held in a destination Member State, consignments above the IOSS threshold, or marketplace deemed-supplier splits can still point to local registration or customs pathways. Confirm with advisers and official TAXUD guidance.
Holding stock in another Member State can move the analysis away from a simple Union OSS distance-selling path toward local registration obligations for those stocks — even if OSS remains relevant for other flows.
Where a platform is treated as a deemed supplier, VAT duties may sit with the platform rather than (or in addition to) the underlying seller. Scope and timing can vary by Member State, especially under ViDA platform reforms.
This tool is an informational route screener. It does not calculate VAT due, file returns, classify place of supply conclusively, or replace Member State guidance.
It depends on seller establishment, customer type, goods vs services, movement, consignment value, and stock. This screener suggests candidate routes only.
No. EUR 150 is the official e-commerce IOSS consignment-value threshold note used here — not a liability calculation.
Former thresholds were replaced by an EU-wide EUR 10,000 optional-use note for Union OSS vs home Member State treatment. It is encoded as a note, not hard tax advice.
No. Outcomes never assert that you definitely owe tax.