An analysis of ruling no. 2383 of 2024, which clarifies the exceeding of punishable thresholds in tax crimes and the importance of evidence in contexts of 'off-the-books' accounting.
An in-depth analysis of ruling no. 1810 of 2024 clarifying the configurability of the concurrence between the crime of fraudulent evasion of tax payments and that of fraudulent bankruptcy, providing important insights for tax criminal law.
Analysis of the recent ruling on the configurability of the crime of false declaration in relation to the proceeds from illegal activities and tax reporting obligations.
The recent ruling of the Court of Cassation clarifies how the agreement for the restructuring of tax debt affects the measure of confiscation, highlighting the importance of the principle of proportionality in tax criminal law.
Judgment no. 46753 of 2024 clarifies how the conditional suspension of the sentence for failure to pay VAT can be conditional on the payment of the evaded tax even in the absence of a civil party, highlighting the relationship between the taxpayer and the State.
Let’s explore the recent ruling no. 45868 of 2024, which clarifies the contours of aggravated fraud to obtain the Superbonus 110%, highlighting the importance of the correct interpretation of tax and criminal regulations.
Analysis of the Supreme Court ruling on the tax evasion case, highlighting the responsibilities of the liquidator of a cooperative and the legal implications of tax incentives.
The Court of Cassation, with order no. 23095 of 2020, clarifies the methods of proof related to the notification of payment notices, highlighting the importance of photocopies and their validity in the absence of formal disputes.
An in-depth analysis of the Supreme Court ruling that clarifies the criminal liability of the notary for the failure to pay the registration tax. We explore the legal implications and the regulations involved.
The ruling of the Supreme Court of Cassation in 2024 provides important insights into the limits and peculiarities of the crime of self-laundering, highlighting the conditions for the seizure of assets and judicial interpretations.