Where increases based on the same grounds are notified to companies that are members of a group within the meaning of Article 223 A or article 223 A bis, any taxpayer may request that the matter be referred to the national commission referred to in article 1651 H if at least one of these companies meets the conditions set out in 2 of this article. The national commission then has jurisdiction over all disagreements persisting on the reassessments notified to this taxpayer and falling within its remit.
Taxpayers whose tax bases have been increased under d of Article 111 may request a referral to the national commission referred to in Article 1651 H if the paying company falls under the latter.