Information for Russian Members
Below you can find more information about relevant regulatory developments to help with your administration and invoice payment.
Keep in mind that you need to choose the right code of transaction (“other transactions on non-commercial operations”) to complete the payment.
Russian VAT Legislation (Federal Law 335-FZ)
We are aware about the amendments to Federal Law 335-FZ with regards to the taxation of electronic services. However, we are not providing electronic services and therefore do not fall within the scope of this regulation.
Learn more on this subject by reading our tax governance white paper.
Redistribution of Excess Contributions 2020
As stated in the Standard Service Agreement (article 7.3), the excess amount shall be returned to the member in proportion to the level of paid fees in the relevant year. This excess amount shall be credited to the Member on the fee of the year following the year that the Clearing House procedure has taken place.
During the RIPE NCC General Meeting held on 28-30 October 2020, members voted to redistribute the RIPE NCC 2020 financial surplus (Resolution 1) to the membership in 2021. The redistribution per LIR account will appear on the 2021 invoice when applicable.
If you have questions about your invoice or payments, please contact the RIPE NCC Billing Department.