The article “Tax Disputes Comparative Guide” for the jurisdiction of Italy, authored by Guglielmo Maisto and Marco Valdonio, and published on Mondaq, is now available. The essay provides a detailed overview of rules on tax audits, tax litigation and tax dispute resolution, with a focus on procedural aspects, timeframes, and strategic considerations for taxpayers. It serves as a valuable resource for professionals dealing with the complexities of cross-border and domestic tax disputes. 🔗 Read the full article here: https://lnkd.in/dkX-HXbz #maistoeassociati #InternationalTaxation #TaxDisputes
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In our #DTaxBreaks, Tax and Legal Manager Lucy N. Kirika, discusses the difference between tax classifications for independent consultants and Employees. Read more about our Tax and Legal services by visiting the link here: https://deloi.tt/3yv9xJK #ImpactThatMatters
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Marco Cerrato and Paola Marzetta contributed to the latest edition of the 2024 Comparative Guide for Tax Disputes published by Legal 500, the guide providing a pragmatic overview of the law and practice of tax disputes across a variety of jurisdictions. The Italian chapter focuses on our jurisdiction and addresses various topics such as tax authorities’ structure and procedures, tax returns, frauds, assessments, appeals, and penalties, as well as insights and comments on the most relevant issues in the field. The full article can be read below ⬇️ The online version is available here: Italy: https://lnkd.in/dHkfNhuJ.. #maistoeassociati #thelegal500 #taxation #taxdisputes #tax
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In situations where tax disputes remain unresolved post-Alternative Dispute Resolution, the next step is for the appeal to be heard in the Tax Court. This process provides a formal and structured avenue for the adjudication of tax disputes, ensuring that each case is thoroughly reviewed and decided upon by the Tax Court. Reach out to our tax experts! https://bit.ly/3ytdtu3 #TaxDisputes #TaxConsulting #Tax #NoticeofAssessment
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CLE webinar alert🚨🚨: Join us on August 13th from 1:00 - 2:30 pm ET for a panel discussion on tax controversies, "I Always Think That Everything Could Be A Trap: Ethical Dilemmas in Tax Controversy". https://loom.ly/PZ992f8 #Tax #TaxLaw #TaxCLE #TaxLawyer #TaxControversy
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The TaxProf: Herzfeld Presents What’s An Income Tax? Today At Toronto: Mindy Herzfeld (Florida) presents What’s an Income Tax? at Toronto today as part of its James Hausman Tax Law and Policy Workshop Series hosted by Ben Alarie: Developments in international taxation – including the substitution of accounting standards for tax laws -- and tensions in the interaction between tax and... http://dlvr.it/T51XdN @SoCalTaxProf #Tax #Policy #Law
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The TaxProf: Herzfeld Presents What’s An Income Tax? Today At Toronto: Mindy Herzfeld (Florida) presents What’s an Income Tax? at Toronto today as part of its James Hausman Tax Law and Policy Workshop Series hosted by Ben Alarie: Developments in international taxation – including the substitution of accounting standards for tax laws -- and tensions in the interaction between tax and... http://dlvr.it/T51XcM @SoCalTaxProf #Tax #Policy #Law
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The TaxProf: Herzfeld Presents What’s An Income Tax? Today At Toronto: Mindy Herzfeld (Florida) presents What’s an Income Tax? at Toronto today as part of its James Hausman Tax Law and Policy Workshop Series hosted by Ben Alarie: Developments in international taxation – including the substitution of accounting standards for tax laws -- and tensions in the interaction between tax and... http://dlvr.it/T51Xd8 @SoCalTaxProf #Tax #Policy #Law
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In situations where tax disputes remain unresolved post-Alternative Dispute Resolution, the next step is for the appeal to be heard in the Tax Court. This process provides a formal and structured avenue for the adjudication of tax disputes, ensuring that each case is thoroughly reviewed and decided upon by the Tax Court. Reach out to our tax experts! https://bit.ly/3ytdtu3 #TaxDisputes #TaxConsulting #Tax #NoticeofAssessment
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🕛"One-Minute-Tax” 🕛 with Jenny Panou Watch Jenny Panou, Partner, Head of Tax, sharing her valuable insights regarding the new legislative framework for the submission of Asset Status declarations ("Pothen Esches"), which is regulated by Law 5026/2023. #GrantThornton #Tax #OneMinuteTax
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Join Latham tax controversy partner Jean Pawlow on the “Foreign Tax Redeterminations in a Post-TCJA World: Best Practices and Traps for the Unwary” panel at Tax Executives Institute's 2024 Audits & Appeals Seminar in Tysons, VA on September 10. This panel will provide invaluable insights into the current challenges and latest developments under Section 905(c), the impact of the TCJA, and recent IRS regulations. Jean will also explore the implications of these changes on potential audits, future controversies, and contested taxes in foreign jurisdictions. https://lw.link/AcU3Xv
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