In terms of this type of registration, the principal, as a non-resident with• out a PE in the country would apparently not be allowed to actually credit and recover the VAT paid in the country; however, since the principal, as
. a seller, is obligated to issue invoices for the sale of goods in Mexico and, furthermore, given that it also obligated to file VAT returns on a monthly basis for such sales, the principal becomes obligated to register not as the exceptional case of a non-resident, but within the general rule.