Quick answer: Turkish wine producers generally report to two national authorities: TADAB for alcoholic-beverage production and market controls, and GİB for tax. A licensed producer files its TADAB monthly sales report by the 20th of the following month, ÖTV 3A by the 15th, KDV by the 28th, and the prior-year Campaign Notification Report in January. Product approvals, bandrol and ÜİS records, and current operating authorizations sit around that reporting calendar.
This guide uses Türkiye for the country and Turkey where it helps English-language search discovery. It focuses on national obligations for a domestic commercial wine producer. Imports, exports, bonded movements, special tax situations, customs, food-safety rules, municipal licensing, and employment facts can add obligations not covered here.
Important: This is an operational guide, not legal or tax advice. Rates, portal workflows, tax parameters, and temporary filing extensions can change. Verify the live rule and your taxpayer status before filing.
2026 Turkish winery reporting calendar
| Obligation | Who files | Current deadline | Authority |
|---|---|---|---|
| ÖTV return, List III, Form 3A for alcoholic beverages | Continuous ÖTV taxpayer producing taxable wine | 15th of following month, 23:59 | GİB |
| Monthly sales report | Alcoholic-beverage producer or importer | 20th of following month, end of business | TADAB |
| Withholding and Premium Service Declaration (MUHSGK) | Taxpayer with applicable withholding/payroll obligations | 26th of following month, 23:59 | GİB / SGK workflow |
| KDV return | KDV taxpayer | 28th of following month, 23:59 | GİB |
| Wine Campaign Notification Report | Wine and fruit-wine producer | January, for the prior year | TADAB |
| Corporate income tax return | Corporate taxpayer | First through last day of the fourth month after the accounting period closes | GİB |
GİB can announce temporary deadline extensions. The dates above are the standing deadlines in GİB's current filing-and-payment schedule as verified August 5, 2026. The TADAB monthly-sales deadline comes from the current alcohol trade regulation and is reiterated in TADAB's 2025 product-approval notice.
1. TADAB monthly sales report
Article 15 of the current regulation governing domestic and foreign trade in alcohol and alcoholic beverages requires producers and importers to submit a monthly commercial-activity sales report in the prescribed format and electronic environment by the end of business on the 20th day of the following month. TADAB's April 2025 product-approval notice quotes the same requirement, giving it a current operational cross-check.
What to reconcile before submission
- Finished-product sales by approved product identity and period.
- Invoice and dispatch-document data, including the fields the regulation requires for alcoholic-beverage shipments: GTİP, brand, package volume, and alcohol degree.
- Bandrol and product counts against period sales and finished-goods movements.
- Opening stock, production/bottling movements, sales, other authorized movements, and closing stock so the period balances operationally.
The exact authenticated screen can change. Use the current TADAB online-services environment and the filing route specified by TADAB for your authorization. Do not automate a portal endpoint merely because another Turkish tax or Ministry service exposes an API.
2. Annual wine Campaign Notification Report
Wine and fruit-wine producers submit the previous year's Campaign Notification Report in January. TADAB's March 10, 2025 notice sets out the current workflow:
- Open the Alcoholic Beverages Online Services Portal.
- Go to Bildirimler > Kampanya Raporları.
- Complete the prior-year campaign report in the portal.
- Print the generated report.
- Sign and stamp it, then send it to TADAB as directed in the notice.
The underlying wine communiqué also requires campaign information around production, grape purchases, wine volumes, annual sales, and carryover stock for relevant producers. Build the January filing from reconciled cellar, purchasing, production, and sales records rather than reconstructing the vintage after year-end.
3. ÖTV 3A excise return for wine
Wine sits in List III(A) of Türkiye's Special Consumption Tax regime. For domestic production, the taxable event generally occurs on the manufacturer's delivery of the listed product. GİB's current List III General Communiqué requires the alcoholic-beverage return, ÖTV 3A, to be filed electronically by 23:59 on the 15th day of the following month. Payment is due within the filing period.
A continuous ÖTV taxpayer still files when there is no taxable transaction in the period. GİB instructs a nil filer to select the declaration that there is no information to report. Alcohol producers must also complete the relevant 3A annex tables for period bandrol information and stocks of bandrolled or coded alcoholic products when applicable.
How ordinary wine ÖTV is calculated in 2026
For the wine lines relevant here, GİB's current framework shows a 0% relative rate and a minimum specific tax amount per liter. That means an ordinary wine calculation should not be described as a generic “take the higher of a percentage tax and a fixed tax” exercise. The current published minimum specific amounts are product-code specific.
| Product line | Relative rate | Minimum specific ÖTV | Effective source date |
|---|---|---|---|
| Fresh-grape wine under 22.04, excluding sparkling wine and other grape must | 0% | ₺71.2692 / liter | July 3, 2026 |
| Sparkling wine, GTİP 2204.10 | 0% | ₺481.5146 / liter | July 3, 2026 |
These figures are time-sensitive and apply only to the stated tariff lines. Confirm the product GTİP and the live GİB List III(A) table before calculating a return. Other wine-like or aromatized products can carry different minimum specific amounts.
4. KDV, withholding/payroll, and annual corporate filing
KDV
Türkiye's general KDV rate is 20% under Presidential Decision No. 7346, effective July 10, 2023. For a standard domestic wine sale, that general rate is the starting point unless a specific transaction rule changes the treatment. The standing monthly KDV return deadline is 23:59 on the 28th day of the following month, with payment within the filing period. KDV taxpayers generally continue to file for periods with no taxable transactions.
GİB publishes current KDV1 e-Beyan integration documentation. That documentation is specific to KDV1. It is not evidence that the same REST workflow or endpoints can be reused for ÖTV 3A.
MUHSGK, when applicable
If the winery has payroll or withholding obligations within the Withholding and Premium Service Declaration, the standing monthly deadline is 23:59 on the 26th day of the following month. Confirm the correct filing status and period for the employer rather than treating MUHSGK as a wine-specific report.
Corporate income tax
For a corporate taxpayer, the annual return is filed from the first through the last day of the fourth month after the accounting period closes. For a calendar-year company, that normally means April. Do not use a blanket “20% winery corporate-tax rate” assumption: Türkiye's current corporate-tax rules use a general rate with qualification-specific and period-specific adjustments. Calculate the applicable rate from the current Corporate Tax Law and GİB guidance for the entity and period.
e-Fatura and e-Defter are separate obligations
Electronic invoicing and electronic books are taxpayer-level obligations, not wine-sector reports. Do not assume that winery status alone determines whether a business must use them. Check the current GİB e-Fatura rules and current e-Defter General Communiqué for the entity's onboarding and filing position. e-Defter upload deadlines run separately from the wine-reporting calendar, and GİB can announce period-specific extensions.
5. Product approval before market release
TADAB states that alcoholic beverages produced domestically or imported into Türkiye must receive product approval before being placed on the market. Domestic producers use the Tobacco Products and Alcoholic Beverages Market Online Services Portal under Ürün Yönetimi > Ürün Girişi.
TADAB's April 11, 2025 notice describes a digital dossier that can include prototype package images, label and neck materials, technical specifications, the detailed production process from raw material through bottling, registrations where relevant, trademark-license information where relevant, and an ingredient list. Before a sales notification, the producer uploads photos of the approved product with its label and bandrol.
That notice gives TADAB 15 business days to decide complete product-approval or update requests, while incomplete files receive a 15-day completion period. Build launch timelines around approval, not just around when packaging is ready.
Useful wine-specific detail: TADAB's current notice says a vintage-year change by itself is not treated as a new product or a product update. If only a wine's content changes and all other approved product elements stay the same, the notice provides a content-file upload route rather than a new product application.
6. Bandrol and ÜİS controls
The Bandrolled Product Monitoring System, ÜİS, is the traceability framework used for tobacco and alcoholic-beverage products covered by the current communiqué. For serially produced alcoholic beverages within scope, bandrols are applied and activated through the system; non-serial production follows the communiqué's pre-activated bandrol or coded-label workflow.
Bandrol requests and period reporting should reconcile to production capacity, production, finished and semi-finished stocks, monthly sales, and product information. GİB and TADAB controls draw on these data points, so product master data and physical inventory need to agree before month-end filing.
Wine-aging exception: with TADAB approval, a wine producer can hold eligible bottled wine in an approved aging area without bandrol while it remains unlabeled and uncapsuled. When the product is labeled and capsuled for market release, bandrol application becomes part of the release workflow. The current TADAB producer guidance describes the related ÜİS counting procedure.
7. Keep production and distribution authorizations current
TADAB's current producer guidance states that a producer receives an Üretim İzin Belgesi (ÜİB) and Dağıtım Yetki Belgesi (DYB) together. The ÜİB is valid for five years and the DYB for two years. Renewal must be requested before expiry. The trade regulation also prohibits market supply without a current distribution authorization.
For auditability, keep each product tied to the batch, serial number, or other code that links it to quality-control records and finished-product analyses. Shipment invoices or dispatch documents for alcoholic beverages must carry the prescribed identifying fields. Under the alcohol trade regulation, records and electronic copies covered by that regulation are retained for at least two years from the end of the relevant year unless another law requires longer retention.
That two-year rule is a sector-regulation floor, not permission to destroy tax, accounting, employment, customs, or food-safety records that have longer statutory retention requirements.
8. 2026 collateral amounts for fermented alcoholic beverages
TADAB reset the collateral amounts applicable in 2026 under the relevant collateral regulation. For production-permit holders and applicants in the fermented alcoholic beverages category, the official 2026 schedule is:
| Production capacity | 2026 collateral |
|---|---|
| Up to 20,000 liters | ₺902,200 |
| Over 20,000 to 100,000 liters | ₺1,805,800 |
| Over 100,000 to 300,000 liters | ₺3,611,600 |
| Over 300,000 to 2,000,000 liters | ₺7,224,400 |
| Over 2,000,000 to 10,000,000 liters | ₺14,448,900 |
| Over 10,000,000 to 50,000,000 liters | ₺27,092,000 |
| Over 50,000,000 liters | ₺90,308,800 |
TADAB's January 2, 2026 notice required existing permit holders to complete the increased 2026 collateral by the end of January 2026. For a new applicant or later compliance review, use the current TADAB rule and current-year amount rather than carrying this table into a future year without re-verification.
9. A 2026 advertising rule changed
A separate but important operational change took effect on June 20, 2026. TADAB's current notice explains that Law No. 7584 amended Law No. 4250, strengthening prohibitions on alcoholic-beverage advertising and consumer promotion and restricting event support using alcoholic-beverage trade names, brands, logos, and package elements. The notice gives workplaces until June 20, 2027 for the specified physical-display compliance changes.
This guide does not repeat older website or age-gate rules from secondary summaries because the current 2026 change needs to be read together with the amended statute and TADAB's latest interpretation before changing a winery's marketing implementation.
A practical month-end winery compliance workflow
- Lock the period data. Reconcile bulk and bottled wine, packaging status, approved product IDs, sales, returns, and other inventory movements.
- Reconcile bandrol and ÜİS counts. Confirm physical and system quantities before tax and sales reports are prepared.
- Prepare ÖTV 3A. Classify each product correctly, calculate against the current List III(A) amounts, complete the required bandrol and stock annex data, and file electronically by the 15th.
- Prepare the TADAB monthly sales report. Reconcile sales and shipment details to product and inventory records, then submit by the 20th through the current authorized Ministry workflow.
- Complete conditional payroll/withholding filing. File MUHSGK by the 26th when it applies to the taxpayer.
- Prepare KDV. Reconcile taxable sales and input tax, then file by the 28th.
- Archive the filing evidence. Keep submissions, payment evidence, product approvals, source transactions, inventory reconciliations, and supporting records under the applicable retention rules.
Year-start checklist
- Complete the prior-year wine Campaign Notification Report in January.
- Check the new year's TADAB collateral notice and any implementation deadline.
- Check current ÖTV amounts and then check again when GİB publishes a new List III(A) table.
- Review ÜİB and DYB expiry dates with enough lead time for renewal.
- Review product approvals before releasing a new SKU, package presentation, or regulated product change.
Where winery software fits
The safest automation boundary is simple: your winery system should make the operational source data clean, traceable, and easy to reconcile, while the official return goes through the authority's authorized channel.
Solera's winery-management features can help centralize cellar and inventory operating records. Solera's public features page does not currently claim native Turkish TADAB or GİB return submission, so this guide does not claim it either. For Türkiye, treat government filing as a verified downstream workflow until a Turkish integration is explicitly released and documented.
If you are comparing compliance structures across markets, see Solera's TTB Form 5120.17 guide and California winery compliance guide. Browse the full winery guides library for additional operational references.
Frequently asked questions
When is a Turkish winery's monthly TADAB sales report due?
By the end of business on the 20th day of the following month. The current regulation requires the report in the prescribed format and electronic environment.
When is the ÖTV 3A return due for wine producers in Türkiye?
By 23:59 on the 15th day of the following month. It is an electronic return, and continuous ÖTV taxpayers still file a nil declaration when there is no taxable transaction for the period.
When is the wine Campaign Notification Report due?
In January for the previous year. TADAB's current instructions direct wine and fruit-wine producers to complete it in the online portal, print the generated report, sign and stamp it, and send it to TADAB.
Does ATİP replace winery reporting to TADAB?
No. ATİP is the Alcohol Trade Platform, and its current public workflows focus on ethyl alcohol and methanol market transactions. Winery sales reporting and product workflows described here follow TADAB's alcoholic-beverage rules and services; tax returns go to GİB.
Is ordinary still wine ÖTV a percentage of the sale price?
Not under the current List III(A) table for the ordinary fresh-grape wine line described above. The relative rate is 0%, and the published minimum specific amount per liter governs that line. Always verify the correct GTİP and current amount before filing.
Does Solera submit Turkish returns directly?
Solera's public feature set does not currently claim native Turkish government-return submission. Use authorized TADAB and GİB channels for filing. Solera can support the upstream operational-record and reconciliation workflow.
Primary sources and verification register
Material compliance claims in this guide were checked against current government sources. Turkish-language sources are summarized in English; links point to the issuing authority rather than third-party summaries.
- TADAB: Alcohol and Alcoholic Beverages Department, Republic of Türkiye Ministry of Agriculture and Forestry. Current producer authorizations, validity periods, wine-aging/bandrol guidance, and online-service links. Verified August 5, 2026.
- Regulation on Procedures and Principles for Domestic and Foreign Trade in Alcohol and Alcoholic Beverages, Ministry of Agriculture and Forestry / TADAB. Monthly sales reporting, distribution authorization, shipment fields, traceability records, and sector record retention. Current consolidated PDF accessed August 5, 2026.
- Communiqué on Wine Production and Market Supply, Ministry of Agriculture and Forestry / TADAB. Campaign information, production records, byproduct records, and monthly sales responsibility. Current official PDF accessed August 5, 2026.
- Campaign Notifications Notice, TADAB, March 10, 2025. Current January campaign-report workflow and portal path. Verified August 5, 2026.
- Alcoholic Beverage Product Approval and Update Procedures, TADAB, April 11, 2025. Product approval, portal workflow, dossier requirements, decision timing, and wine-specific update rules. Verified August 5, 2026.
- Bandrolled Product Monitoring System General Communiqué, TADAB. ÜİS, bandrol activation, product and stock controls. Current official PDF accessed August 5, 2026.
- Special Consumption Tax List III General Communiqué, Revenue Administration (GİB). ÖTV taxable event, monthly period, 3A return, electronic filing, nil returns, and bandrol/stock annex requirements. Current consolidated official PDF accessed August 5, 2026.
- List III(A) ÖTV Rates and Minimum Specific Tax Amounts, GİB, effective July 3, 2026. Current wine and sparkling-wine amounts used in this guide. Verified August 5, 2026.
- Return Filing and Payment Deadlines, GİB. Current standing deadlines for ÖTV List III, KDV, MUHSGK, and annual corporate tax. Verified August 5, 2026.
- Presidential Decision No. 7346 KDV Rate Change, GİB. General KDV rate of 20%. Verified against current GİB materials August 5, 2026.
- e-Fatura Legislation and Electronic Ledger General Communiqué (current), GİB. Used to separate general electronic tax-document duties from winery-specific reporting. Verified August 5, 2026.
- 2026 Collateral Amounts under Article 4 of the Collateral Regulation, TADAB, January 2, 2026. Fermented alcoholic-beverage capacity tiers and 2026 amounts. Verified August 5, 2026.
- Notice on Changes to Alcoholic Beverage Advertising Rules, TADAB, 2026. Law No. 7584 changes effective June 20, 2026 and workplace transition timing. Verified August 5, 2026.
- ATİP: Alcohol Trade Platform, Ministry of Agriculture and Forestry. Used to verify the platform's current public scope and avoid mischaracterizing it as a general wine-movement reporting system. Verified August 5, 2026.