Give clients a clear public route,
then let them choose the next step.
Agencies, VAT advisers, consultants and fulfilment providers can flag a possible German trigger and share public resources. Each client decides whether to contact eprdeutschland.com directly. We do not want your client list.
Public resources are free · any private work requires a separate written scope
✓ Free ✓ Human review ✓ No commitment
Timing depends on document completeness and independent registry and scheme review
Useful introductions need clear boundaries
A trigger becomes a final conclusion
A seller's entity, German establishment, channels, contracts and products still need review before a duty is confirmed.
Client data is passed without a decision
There is no need to upload a client list. The client can use a public link and choose whether to submit a request.
The 3PL is assumed to own the obligation
Handling goods or adding shipment packaging is relevant evidence, but a fulfilment warehouse is not an establishment of the seller and the contracts still control the conclusion.
Included in the written scope.
- Public entity, channel and product-stream triage
- Links to packaging, representative, register and licence information
- Visible service boundaries and pricing references
- Client-led request with no automatic engagement
- Independent response directly to the requesting client
- No lead-list transfer or promised regulatory outcome
Four controlled steps.
Share the relevant public page
Send a guide or scope page without transferring client personal data.
Let the client describe the facts
The client records its own entity, channels, products and questions.
Review only with consent
eprdeutschland.com responds directly when the client chooses to make contact.
Keep each relationship independent
No referral changes the client's freedom to choose a provider or the adviser's existing engagement.
Frequently asked
Do we need to share our client list?
No. Share a public link or make an individual introduction with consent; we do not need a database import, and we do not contact people who did not ask us to.
Can we tell a client it must appoint a representative?
You can flag the trigger, which is narrow and factual: no establishment in Germany plus direct sales to German end users. The conclusion still needs the entity, contracts and channels reviewed.
What context should a client prepare?
Legal entity, establishment country, whether it has a German branch, products, sales channels, German customers, fulfilment route and whether it already holds a register entry.
Will you report the client's request back to us?
Not unless the client chooses and authorises that sharing. The request is handled directly with the client.
Discuss the facts with the team.
Independent private service · human scope review · no third-party outcome promised.
✓ Free ✓ Human review ✓ No commitment