Bianucci Law Firm
Order No. 11045 of 2024: The Legitimacy of Using Printed Signatures in Tax Documents.

In-depth analysis of order no. 11045 of 2024, which clarifies the legitimacy of the printed indication of the responsible party in tax liquidation and assessment acts, in accordance with law 549 of 1995.

Bianucci Law Firm
Order No. 11133 of 2024: IMU Exemption and Agricultural Companies

The recent ruling of the Court of Cassation clarifies the conditions for the applicability of the IMU exemption for agricultural companies, excluding properties intended for primary residence. Let’s explore the details and legal implications of this decision.

Bianucci Law Firm
Commentary on Order No. 10939 of 2024: Suspension of Collection and Validity of the Enforcement Title.

An in-depth analysis of Order No. 10939 of 2024 that clarifies the criteria for the suspension of collection and the implications for taxpayers regarding enforcement title.

Bianucci Law Firm
Commentary on Judgment No. 10887 of 23/04/2024 in Tax Litigation Matters

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.

Bianucci Law Firm
Order No. 10985 of 2024: Clarifications on Domicile in Tax Proceedings

A comprehensive analysis of Ordinance No. 10985 of 2024, which clarifies the responsibilities related to changes of residence in the context of tax proceedings, highlighting the burden of communication and notification procedures.

Bianucci Law Firm
Commentary on Judgment No. 10837 of 2024: Compensation for Actual Damages and Taxation.

Let's analyze the recent ruling of the Court of Cassation that clarifies the taxation of compensation for damages, distinguishing between registration tax and VAT, to provide a clear picture of the legal and tax implications.

Bianucci Law Firm
Order No. 10815 of 2024: The Difference from Withdrawal in Capital Companies.

Order No. 10815 of 2024 clarifies the nature of the difference between withdrawal in capital companies and its tax implications, highlighting the differences compared to partnerships.

Bianucci Law Firm
Tax Assessment: Analysis of Ordinance No. 10615 of 2024

Order No. 10615 of 2024 clarifies the criteria for tax assessment, establishing the importance of serious, precise, and consistent presumptions in the evaluation of declared liabilities.

Bianucci Law Firm
Commentary on Order No. 10692 of 2024: the importance of the notice of injunction in the collection process.

Let us analyze the recent Ordinance no. 10692 of 2024, which clarifies the binding content of the notice of formal demand to comply and its implications for taxpayers and the authorities responsible for tax collection.

Bianucci Law Firm
Notification to a legal entity: commentary on Order No. 10294 of 2024

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.