THE MINISTRY OF FINANCE
THE GENERAL DEPARTMENT OF TAXATION

Official Dispatch No. 3997/TCT-DNL dated September 16, 2014 of the General Department of Taxation on taxation policies
To: Vietnam Airlines
In response to Dispatch No. 2136/TCTHK-TCKTdated September 17, 2014 of Vietnam Airlines on requirements for VAT deductions and documents being the basis for including online payments for air tickets to deductible expenses.
After receiving instructions from the Ministry of Finance, the General Department of Taxation hereby responds as follows:
Clause 1 and Clause 2 Article 15 of Circular No. 219/2013/TT-BTC dated December 31, 2013 of the Ministry of Finance on guidelines for the Law on Value-added tax and the Government's Decree No. 20912013/NĐ-CP dated December 18, 2013 on guidelines for the Law on Value-added tax prescribe the requirements for tax deduction as follows:
“1. There are legitimate VAT invoices for purchased goods/services or proof of VAT payment at importation stage...
2. There is proof of non-cash payment for purchased goods/services (including imported goods) that are of VND 20 million or above, except for the case in which the total value of multiple purchases is below VND 20 million (at VAT-inclusive prices).
Proof of non-cash payment includes bank transfer receipt and other proof of non-cash payment prescribed in Clause 3 and Clause 4 of this Article...
Clause 1 Article 6 of Circular No. 78/2014/TT-BTC dated June 18 on guidelines for the Government's Decree No. 218/2013/NĐ-CP, 2014 prescribes:
“1. Except for the non-deductible expenses prescribed in Clause 2 of this Article, all expenses may be deducted if all of the following requirements are satisfied:
a) The expenses incurred are related to the company’s operation;
b) There are legitimate invoices and receipts for the expenses.
c) There is proof of non-cash payment for every purchase that is VND 20 million or above (at VAT-inclusive price).
Proof of non-cash payments must comply with regulations of law on VAT...”
Point 8 Clause 2 Article 6 of Circular 78/2014/TT-BTC prescribes:
(“... Where the company buys air tickets online for its employees to go on business trips serving the company’s operation, the digital air tickets, boarding passes, and proof of non-cash payment shall be the basis for including the air ticket payments in deductible expenses. If the company fails to collect the boarding passes, then the digital air tickets, the dispatch orders, and proof of non-cash payment shall be the basis for including the air ticket payments in deductible expenses.”