Bianucci Law Firm
Judgment No. 10226 of 2024: Clarifications on Tax Assessment and New Elements.

The ruling No. 10226 of 2024 provides important clarifications on the legitimacy of the integration or modification of the tax assessment in light of new elements. Let's explore the meaning of this ruling together.

Bianucci Law Firm
Commentary on Judgment No. 10310 of 2024: Synthetic Assessment and Burden of Proof.

Judgment no. 10310 of 2024 clarifies the burden of proof on the taxpayer in the case of synthetic assessment, highlighting the importance of documentary evidence and symptomatic circumstances.

Bianucci Law Firm
Commentary on Judgment No. 10305 of 2024: Abuse of Right and Shell Companies

The ruling no. 10305 of 2024 clarifies the concept of abuse of rights in the context of shell companies, highlighting how these structures can be used to evade taxes. Learn more about the relevance of this ruling for tax law.

Bianucci Law Firm
Commentary on Order No. 10274 of 2024: The prohibition on the production of new documents in tax litigation.

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.

Bianucci Law Firm
Judgment No. 10270 of 2024: Necessary Joinder in Tax Proceedings

Let’s analyze ruling no. 10270 of 2024, which clarifies the concept of necessary joinder in the context of tax litigation, highlighting the importance of equal treatment and the inextricably common position of the obliged parties.

Bianucci Law Firm
Liability of sports associations and tax notices: commentary on order no. 9980 of 2024.

Order no. 9980 of 2024 clarifies the joint liability of members of sports associations for tax debts and the legitimacy of the notification of the assessment notice. Let’s explore the implications of this ruling together.

Bianucci Law Firm
Analysis of Judgment No. 9995 of 2024: Appeals and Notifications in Tax Litigation

Discover how Ordinance No. 9995 of 2024 clarifies the consequences of failing to challenge the payment notice in tax litigation, analyzing the principle of 'solve et repete' and its legal implications.

Bianucci Law Firm
Taxation of Capital Gains from Land Sales: Commentary on Judgment No. 9947 of 2024

The recent ruling no. 9947 of 2024 provides important clarifications on the taxation of capital gains arising from the sale of subdivided land, highlighting the role of urban planning and the independence of private decisions regarding building eligibility.

Bianucci Law Firm
Transfer of business and goodwill: commentary on Ordinance No. 10001 of 2024.

Let's analyze the important Order No. 10001 of 2024 that clarifies the criteria for calculating goodwill in determining the taxable base for registration tax, highlighting its relevance for tax purposes.

Bianucci Law Firm
Commentary on judgment no. 9759 of 2024: the legitimacy of tax collection notices according to Article 36-bis of Presidential Decree no. 600.

Let’s analyze the recent ruling of the Court of Cassation that clarifies the limits of issuing tax collection notices regarding tax credits, highlighting the importance of a prior notice to the taxpayer.