Let's analyze ruling no. 11661 of 2024 by the Court of Cassation, which clarifies the passive legitimacy in the opposition proceedings against tax collection notices for violations of the highway code and the importance of notifying the verification report.
Let’s analyze Ordinance No. 10795 of 2024, which clarifies the limits of the collection agent's suspension power, highlighting the lack of discretion and the exceptional cases provided by law.
The ruling of the Court of Appeal of Trieste clarifies the implications of formal irregularities in the authorization for home access in tax and criminal matters, emphasizing the distinction between tax and criminal assessments.
The recent ruling of the Court of Cassation clarifies the concept of indirect author in tax offenses, highlighting the legal implications for those who use false documentation to evade taxes.
The recent ruling of the Court of Cassation clarifies the applicability of the mitigating circumstance of active repentance in tax offenses, highlighting the differences with general rules. Let’s explore the significance of this important decision together.
The ruling no. 16576 of 2023 by the Court of Cassation clarifies the configurability of the crime of issuing false invoices, even in the absence of actual tax evasion. Let’s delve into the details and legal implications.
Let's analyze the recent ruling no. 17214 of 2023, which clarifies the criteria for determining the evaded tax in tax crimes, highlighting the importance of documentation and the criteria for criminal assessment.
The ruling no. 36765 of 2024 offers important insights on the issue of specific intent in the case of tax crimes, highlighting the relevance of behaviors following the commission of the crime for the proof of intent. Let's explore the meaning of this decision together.
Judgment No. 37642 of 2024 by the Court of Cassation clarifies the importance of ex ante assessment in analyzing the fraudulent means used to obstruct the financial administration. An in-depth look at its meanings and legal implications.
The recent ruling no. 37248 of 2024 clarifies the 'objective conditions of uncertainty' in the context of tax crimes, highlighting the necessary requirements for the application of this exemption. An in-depth analysis for professionals and citizens.