Order No. 10815 of 2024 clarifies the nature of the difference between withdrawal in capital companies and its tax implications, highlighting the differences compared to partnerships.
Let’s analyze Ordinance No. 10773 of 2024 and the legal implications related to the delayed payment of the registration tax, highlighting the regulatory references and applicable sanctions.
Let's analyze the recent ruling of the Supreme Court regarding the appeal of payment notices and the role of the taxpayer in demonstrating the accuracy of tax returns.
Order No. 10788 of 2024 provides important clarifications on the production of the minutes of dispute in appeal, outlining the rights and duties of the tax administration in tax litigation.
Order No. 10760 of April 22, 2024, of the Court of Cassation clarifies the limits of the notification of payment notices in the event of bankruptcy, establishing rights and guarantees for the bankrupt who has returned to good standing.
Order No. 10615 of 2024 clarifies the criteria for tax assessment, establishing the importance of serious, precise, and consistent presumptions in the evaluation of declared liabilities.
Let us analyze the recent Ordinance no. 10692 of 2024, which clarifies the binding content of the notice of formal demand to comply and its implications for taxpayers and the authorities responsible for tax collection.
The ruling of the Court of Cassation of April 19, 2024 clarifies the responsibilities of former liquidators in the event of company dissolution and the methods for challenging assessment notices, providing important insights for legal professionals.
Analysis of ruling no. 10298 of 2024, which clarifies the dynamics of liability between the taxpayer and the professional in the event of tax penalties, highlighting the non-punishability of the taxpayer if the non-payment is attributable to fraudulent behavior by a third party.
Order no. 10294 of 2024 clarifies the requirements for the notification of tax acts to legal entities. Let's explore the meaning of the ruling and its legal implications in a broader context.