The recent ruling of the Court of Cassation provides significant insights on the issue of the statute of limitations for tax offenses and the interpretation of the rules regarding simulated contracts and seizures.
The recent ruling of the Court of Cassation clarifies the concept of specific intent in cases of tax evasion, emphasizing the importance of the intention to evade taxes and the responsibility of the legal representative.
Analysis of judgment no. 44959 of 2024 by the Court of Cassation concerning the concealment of accounting documentation and the importance of reasoning in criminal proceedings.
The recent ruling of the Court of Cassation emphasizes the mandatory nature of the confiscation of illegal profits and the importance of accessory penalties in tax criminal law, providing food for thought for legal scholars and taxpayers.
The recent ruling by the Court of Cassation clarifies criminal responsibilities in cases of tax evasion and the importance of proper accounting documentation. Let's explore the legal implications for the professionals involved.
The recent ruling of the Criminal Court n. 39971 of 2024 raises important questions regarding the legitimacy of appeals in tax matters, clarifying the roles and responsibilities of prosecutorial bodies and the methods of contesting tax offenses.
The ruling of the Court of Cassation no. 41721 of 2024 offers significant insights into criminal liability in tax matters, highlighting the distinction between personal and corporate assets. A thorough analysis of the legal principles involved.
The recent ruling of the Court of Cassation clarifies that foreign EU citizens not residing in Italy do not need to present a tax code to obtain state-sponsored legal aid, an important legislative development.
Let us analyze the ruling no. 28502 of 2024 by the Court of Cassation, focused on the reviewability of preventive seizure orders and the assessment of the prerequisites for access to favorable tax regimes.
Let’s analyze ruling no. 26520 of 2024, which clarifies the distinction between the use of invoices for actual transactions and the configurability of tax crimes. An important step for understanding the current regulations.