National Tax Service (“NTS”) Commissioner Lim Kwang-hyun attended a forum hosted by the Korea Federation of Industries on April 2, 2026, where he listened to the challenges and suggestions from the business community and announced a set of reform measures to improve the operation of tax audits and reduce the corporate compliance burden. In this RSM Korea Newsletter, we summarize the key contents of the NTS press release and present RSM Korea’s views on the practical implications for your business. This document is a general informational summary prepared on the basis of publicly available information, and should not be construed or used as legal, tax, or accounting advice for individual matters. As outcomes may vary depending on specific facts and circumstances, independent professional advice should be sought before making any actual decisions. 

 

■ Overview of Reform Measures

Marking its 60th anniversary in 2026, the NTS has declared this year the inaugural year of fundamental tax audit transformation, and is implementing the following two key reform measures to enhance predictability for taxpayers and reduce the corporate compliance burden.

 

Reform Measure ①

Reform Measure ②

Change

Taxpayer-Selected Regular Audit Timing 

Full Implementation

10 Key Verification Items

Pre-Disclosure

Date

April 2026~

Immediate (Published on NTS Website)

Purpose

Grants taxpayers the right to determine audit timing; critical business periods can be avoided

Advance guidance on key audit verification items to support self-review and audit preparation

Reform Measure ①  |   Full Implementation of Taxpayer-Selected Regular Tax Audit Timing (from April 2026)

 

■ Overview

Previously, the NTS unilaterally determined the timing of regular tax audits. Under the new system, taxpayers selected for a regular audit may now choose their preferred audit start month within a three-month window (1st and 2nd preference).

 

■ Step-by-Step Procedure

Stage

Description

Detail

STEP 1

Issuance of Timing Selection Notice

The NTS sends a Timing Selection Notice to taxpayers selected for a regular audit. (e.g., April 2)

STEP 2

Taxpayer Submits Preferred Audit Timing

The taxpayer notifies the NTS of preferred audit start months (1st and 2nd choice) within 3 months of receiving the notice. (e.g., 1st choice: June, 2nd choice: July)

STEP 3

Confirmation of Selected Timing

The NTS confirms theaudit start month reflecting the taxpayer's preference and notifies the taxpayer. (e.g., June confirmed)

STEP 4

Formal Notice

A formal notice is issued 20 days before audit commencement, consistent with the current procedures. (e.g., May 20)

STEP 5

Audit Commencement

The tax audit commences in accordance with the confirmed schedule. (e.g., June 10)

 

■ Summary of Key Changes

Category

Previous

After Change (from April 2026)

Audit Timing Authority

Unilaterally determined by NTS

Taxpayer selects by month within 3 months (1st & 2nd choice)

Prior Notice

Formal notice 15 days prior to audit

Formal notice 20 days before audit

Corporate Response

Unpredictable timing: reactive approach required

Critical business periods can be avoided; enough time for preparation

Applicable to

All regular tax audit targets

All regular tax audit targets (full implementation)

 

RSM Korea View 

1.  Upon receipt of the notice, promptly review your tax and business calendar to determine your preferred audit timing (1st and 2nd choice).

2.  You may avoid critical corporate events such as year-end closing, annual general meetings, and board meetings when selecting your preferred audit period.

3. After receiving the formal notice, focus on preparing relevant documentation and conduct an internal self-review based on the 10 Key Verification Items (see next page).

4.  This timing selection system applies to all regular tax audits, unless there are unavoidable circumstances such as natural disasters.

 

Reform Measure ②  |   Pre-Disclosure of 10 Key Tax Audit Verification Items

 

■ Overview

The NTS has identified and published 10 key issue types as "Key Verification Items" frequently assessed during tax audits. By conducting self-reviews at the time of corporate/individual income tax filing and preparing relevant documentation in advance, companies can significantly reduce their tax risk exposure.

 

■ List of 10 Key Verification Items

Tax Category

No.

Key Verification Item

Key Considerations (Critical Documents)

Corporate Tax (Income Tax)

01

Personal Use of Corporate (Business) Credit Cards

Retain thorough documentation of business-related use (internal memos, emails, business trip reports, etc.)

02

Unreported Revenue Deposited into Personal Bank Accounts

Revenue should in principle be received through corporate accounts (contracts, tax invoices, etc.)

03

Write-Off of Accounts Receivable without Justifiable Cause

Secure objective evidence of uncollectability (debtor bankruptcy or closure documentation, etc.)

04

Fictitious Payroll Expenses with No Actual Employment

Maintain evidence of actual employment (employment contracts, attendance records, etc.)

05

Improper Tax Credit Claims for R&D and HR Development Expenses

Retain documentation of full-time research dedication (research plans, lab notebooks, R&D records, etc.)

06

Omission of Deemed Interest on Loans to Officers/Shareholders

Include deemed interest on loans to executives and shareholders (loan agreements, interest calculation schedules, etc.)

07

Expensing of Expenditures Meeting Capitalization Criteria

Review criteria for capitalization vs. expense under relevant tax regulaitons (construction contracts, nature-of-work assessments, etc.)

VAT

08

Receipt/Issuance of Tax Invoices Not Reflecting Actual Transactions

Retain documentation of actual transactions (contracts, payment receipts, purchase orders, etc.)

09

Errors in Classification of Taxable vs. VAT-Exempt Transactions

Maintain pro-rata records for taxable and exempt supplies (contracts, statutory provisions, tax rulings, etc.)

10

Failure to Account for VAT on Self Consumption of Business Assets

Review use of business assets for its own purposes (asset and inventory usage registers, etc.)

RSM Korea View

The key verification items typically arise not from simple errors, but from insufficient documentation, discrepancies between the economic substance and legal form of transactions, and differences between accounting and tax treatment. Even companies with relatively robust internal controls may face repeated tax risk exposure in certain areas.

 

In particular, even for companies with certain internal controls in place, we recommend proactive review of the following items:

 

  • R&D and HR Development Tax Credit: Risk of credit disallowance due to inadequate segregation and documentation of dedicated research personnel

  • Expensing of Capitalizable Items: Risk of timing issues on deductible expenses due to inconsistency between accounting and tax treatment standards

  • Tax Invoices Not Reflecting Actual Transactions: VAT risk arising from discrepancies between contractual arrangements and actual transaction 

 

For these items, we recommend an entity to review the documentation framework and basis for judgment.

 

 

This document has been compiled by Shinhan Accounting Corporation (RSM Korea) based on the NTS press release dated April 2, 2026, to assist corporate tax managers. The contents are for general informational purposes only and should not be construed as legal, tax, or accounting advice. Please consult your tax professional for guidance on individual matters.

 

Issued by

International Business Division, Shinhan Accounting Corporation   

YS Kim, Vice President  |  Michael Min, Partner  |  SH Woo, Senior Manager