The obligatory pre-trial appeal procedure regarding some decisions of tax authorities took effect on January 01, 2009. It concerns decisions about imposition of liabilities and decisions about the refusal to impose liabilities for committing tax offences.
At present, there exists a practice of considering claims of taxpayers by higher tax authorities. Thanks to mastering of this practice, it is possible to choose the most efficient appeal algorithm and avoid unreasonable expenses.
We offer you a wide range of services in the field of pre-trial and trial settlement of tax disputes:
drafting and submitting of appeals with higher tax authorities;
drafting and submitting appeals against effective decisions with higher tax authorities;
drafting and submitting claims with courts of arbitration;
representation of taxpayer's interests before tax authorities and courts;
consulting about trial and pre-trial settlement of tax disputes.