1 The taxable person must settle the tax claim that arose in the reporting period within 60 days of the end of that period.
2 If the taxable person makes no payment or a payment that is obviously insufficient, the FTA, after issuing a reminder, shall seek to enforce its claim for the tax amount provisionally payable for the reporting period in question. If no return has been filed for the taxable person or the return is obviously inadequate, the FTA shall first make an assessment according to its best judgement of the tax amount provisionally payable.
3 By rejecting the summons for payment, the taxable person instigates the procedure to continue enforcement proceedings. The FTA is responsible for setting aside the rejection of the summons for payment in the ruling and opposition procedure.
4 The ruling on the rejection of the summons for payment may be contested by filing opposition with the FTA within 10 days of it being issued. The opposition decision is final, subject to paragraph 5.
5 If the tax amount provisionally payable that is the subject of the enforcement proceedings is the result of an assessment made by the FTA according to its best judgement, an objection may be filed in the Federal Administrative Court against the opposition decision. The objection has no suspensive effect, unless the court so orders on justified application. The Federal Administrative Court makes the final decision.
6 Article 85a of the Federal Act of 11 April 1889187 on Debt Enforcement and Bankruptcy (DEBA) does not apply.
7 The collection of a tax amount under paragraph 2 does not affect the final tax claim under Articles 72, 78 and 82 from being established. If the tax claim cannot be established due to a failure of the taxable person to act, in particular because they fail to correct errors under Article 72 or to request a ruling under Article 82, on the prescription of the right to establish the tax, the tax amounts established by the FTA under paragraph 2 become the tax claim.188
8 Instead of a payment of the tax amount, the taxable person may provide security in accordance with to Article 93 paragraph 7.
9 Immediately after receipt of the payment or the security, the FTA shall withdraw its debt enforcement claim.
10 Paragraphs 1-9 apply regardless of which reporting period has been chosen.189