Discover a wealth of information on tax litigation through our curated articles and legal insights. Stay up to date on the latest court rulings and legal strategies in the field of tax law.
The recent ruling of the Court of Cassation clarifies the right of appeal against the tax assessment notice by the co-filing spouse, ensuring the right to defense in the case of a joint declaration.
Order No. 694 of 2025 provides important clarifications on the origin of appeal acts in tax litigation, highlighting the presumptions of validity and their related limits. Let us explore the meaning of this ruling together.
The Court of Cassation, with order no. 23095 of 2020, clarifies the methods of proof related to the notification of payment notices, highlighting the importance of photocopies and their validity in the absence of formal disputes.
The recent ruling no. 11351 of 2024 clarifies the rights of the taxpayer declared bankrupt regarding the appeal of tax assessments, highlighting the importance of standing even after the cessation of activity.
Detailed analysis of ruling no. 10887 of 2024 that clarifies the conditions for the notification of the appeal in tax proceedings and the relevance of the omitted filing of the shipping receipt.
Order No. 10788 of 2024 provides important clarifications on the production of the minutes of dispute in appeal, outlining the rights and duties of the tax administration in tax litigation.
Order No. 10760 of April 22, 2024, of the Court of Cassation clarifies the limits of the notification of payment notices in the event of bankruptcy, establishing rights and guarantees for the bankrupt who has returned to good standing.
Order no. 10294 of 2024 clarifies the requirements for the notification of tax acts to legal entities. Let's explore the meaning of the ruling and its legal implications in a broader context.
We analyze the important order no. 10232 of 2024, which clarifies the role of joint litigation in disputes related to declaration errors by partners in partnerships.
Let's analyze Ordinance No. 10274 of 2024, which clarifies the prohibition of producing new documents in the context of a referral in tax litigation, with regard to public rights and legal procedures.