On April 7, 2025, Brazil’s Office of the Attorney General of the National Treasury (PGFN) issued Ordinance No. 721/2025, establishing new rules for tax settlements involving high‑economic‑impact federal tax credits under judicial dispute, based on the “Reasonable Potential of Judicial Credit” (PRJ) assessment.
The new framework introduces criteria that differ significantly from previous models. Now, discounts are determined by the length of the lawsuit and the PGFN’s assessment of the likelihood of success of the legal thesis being litigated — rather than the taxpayer’s Payment Capacity (CAPAG).
In other words, the policy no longer focuses on the debtor’s economic profile, but instead on the probability that the government will prevail in court regarding the disputed credit.
To qualify for this settlement model, tax debts must meet all of the following requirements:
The new settlement program provides several advantages, including:
Applications must be submitted by July 31, 2025, at 7:00 p.m. (Brasília time) and can only be completed through the Portal Regularize.
Official details are available on the Ministry of Finance’s website. If you’d like to understand how this new settlement model may affect your company or discuss tax regularization strategies, click here to contact the team at Donato & Garcia Neto Advogados.
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