In Spain, tax fraud becomes a criminal offence once the amount evaded in a given tax and year exceeds the statutory threshold. Below it, the matter stays administrative. Above it, the file is passed to the prosecutor and everything you have said to the tax authority is already on the record.
This is why the crucial moment is during the inspection, not after. Statements made to help the inspector are routinely used later as evidence of intent.
Both the company and its directors can be prosecuted. See also money laundering.
Tax fraud becomes a crime in Spain once the amount evaded in a single tax and a single year exceeds the statutory threshold. Below it, the matter stays administrative. Above it, the file goes to the prosecutor, and everything you told the inspector is already on the record and cannot be taken back.
This is why the decisive moment is during the inspection, not after it. Statements made to be helpful, or to close the matter quickly, are routinely used later as evidence of intent. By the time the criminal file opens, the defence is already working with what you handed over.
Voluntary regularisation before the proceedings formally begin can extinguish criminal liability entirely. But the window closes the moment the tax authority notifies the start of inspection proceedings, and the regularisation must be complete and truthful to have effect.
Getting this right, and doing it in time, is often the whole case.
Both the company and its directors can be prosecuted. See also money laundering.
The inspector says it can still be settled. Should I cooperate fully? Cooperate, yes. Volunteer explanations that admit intent, no. Everything said in the inspection travels into the criminal file, and once it is there it cannot be recalled. This is the moment to have a lawyer, not after.
Can I still regularise and avoid the crime? Only before the proceedings are formally initiated. The window closes with the notification of inspection. If you are reading this before that notification arrives, act now.
They say I am tax resident in Spain and I say I am not. Who decides? The court, on the evidence. Residence is assumed by the authority far more readily than it can be proved, and it is one of the strongest lines of defence for foreign nationals with interests in two countries.
Am I personally liable, or is the company? Both can be prosecuted, and they usually are, together.