The recent ruling no. 9395 of 2024 clarifies the consequences of the invalidity of the notification of tax enforcement acts and the possibilities for rectification. Discover how this ruling affects taxpayers' rights and the actions of the Revenue Agency.
Order No. 9312 of 2024 clarifies the requirements for the compensation of legal costs in tax proceedings, highlighting the importance of adequate reasoning and serious and exceptional circumstances.
The recent ruling no. 9170 of 2024 clarifies the responsibility of directors in the context of tax collection, highlighting limits and areas of application. Let's explore the details and legal implications together.
Order No. 8875 of 2024 clarifies the nature of the modal donation in favor of a third party, excluding taxation as income from employment. Let's explore the meaning of this decision and its legal implications.
Let's analyze ruling no. 9010 of 2024, which clarifies the terms of expiration for tax assessment in the case of a criminal reporting obligation, highlighting its non-cumulability with the two-year extension provided by law.
Let's analyze the recent ruling no. 8714 of 2024, which clarifies the conditions for the deductibility of bad debt losses in the case of pro soluto transfers, highlighting the importance of documentation and the burden of proof.
Let's explore ruling no. 8805 of 2024, which clarifies the criteria for the qualification of business transfers and the tax implications related to the taxation of asset transfer operations.
Let us examine order no. 8823 of 2024, which outlines the requirements for the notification of tax acts and the notifier's duty to search in the event of the taxpayer's absolute unavailability.
Order No. 8858 of 2024 provides important clarifications regarding the expiration of payment notices and the current legislation, highlighting the absence of an extension for the deadline of December 31, 2008.
In this analysis of the recent ruling no. 8739 of 2024, the concept of the relevance of expenses for tax deductibility in the context of business income is explored, highlighting the practical and regulatory implications for taxpayers.