The ruling of the Court of Cassation No. 39478 of 2024 clarifies the concept of the uniqueness of the crime of undue tax offsetting, analyzing the offsetting of credits of different legal entities and the legal implications for taxpayers.
Let's explore the recent ruling no. 37131 of 2024, which provides important clarifications on tax crimes and the intent required for the offense of fraudulent declaration. Discover the details and legal implications of this decision.
Let’s analyze ruling no. 38802 of 2024, which clarifies the requirements for establishing the specific intent of tax evasion in the crime of failure to declare, providing useful insights for understanding tax liability.
The recent ruling no. 40015 of 2024 provides important insights on the configurability of aggravated fraud in the context of construction bonuses, clarifying the boundaries between fraud and the improper receipt of public funds.
The recent ruling of the Supreme Court addresses the important issue of the taxation of compensations, clarifying the limits between what is subject to taxation and what is exempt. An analysis of the implications for taxpayers and businesses.
A thorough analysis of the Supreme Court ruling regarding fraudulent bankruptcy and the recognition of the continuity between offenses, highlighting the applicable legal principles and the implications for similar cases.
Analysis of ruling no. 32274 of the Court of Cassation regarding preventive seizure and tax fraud, with particular attention to the implications of transferring sums abroad.
We analyze the recent ruling of the Court of Cassation that annulled the precautionary measures against A.A., highlighting the legal principles and implications.
An examination of the Supreme Court ruling concerning the failure to declare income and the criminal liability of the taxpayer. An analysis to understand the legal principles applied and the implications for professionals and taxpayers.
Analysis of the recent ruling by the Court of Cassation regarding fraudulent declaration and the use of invoices for non-existent transactions, with a focus on the legal implications for the companies involved.