Using your ELD for IFTA reporting? There's something most carriers get wrong.
Nearly every ELD company markets this: "Built-in IFTA reporting. Automatic state mileage breakdown. IFTA made simple."
It sounds good. But here is what actually matters:
IFTA doesn't require your ELD to be convenient. It requires your records to be adequate, sufficient, and appropriate for audit. And when an auditor shows up, the burden of proof is entirely on you.
Here's what that actually means, and what responsible carriers do to make sure they're covered.
IFTA requires carriers to keep operational records for four years from when the return was due or filed, whichever comes later.
Those records need to be detailed and sufficient enough for an auditor to verify:
If your records can't be easily pulled and reviewed in an audit, they don't count. Having the data isn't enough. You have to be able to produce it in a usable format.
If you use an ELD or vehicle tracking system to support IFTA mileage, the system must create and maintain a record at least every 10 minutes while the vehicle's engine is on.
Each record must include:
The data must be accessible in an electronic spreadsheet format such as XLS, XLSX, CSV, or a delimited text file.
Static image formats such as PDF, JPEG, PNG, or Word documents are not acceptable as vehicle tracking system records.
If your system cannot produce that level of detail, you may not have adequate records.
If the base jurisdiction determines your records do not meet adequacy standards, or you fail to produce records when requested, additional assessments may be imposed.
Those assessments can include:
That adjustment can be significant.
And it is based on record adequacy, not intent.
Your ELD provider does not have to store your data forever. You do.
If your system limits how far back you can access detailed trip records, you must routinely download and retain those records while they are available. Waiting until you receive an audit notice is too late.
Systems, vendors, and platforms all change. Your obligation to produce four years of defensible records does not.
An ELD can assist with IFTA reporting, but it does not replace your responsibility to maintain adequate records.
Before you rely on that "IFTA Report" button, ask yourself:
Convenience is not compliance. Documentation is.
For official requirements and governing documents, visit the International Fuel Tax Association: https://www.iftach.org