Tax audits and disputes
In disputes, the help of experts is invaluable.
See how we can help you.
We support clients in proceedings before tax authorities and courts.
During an audit of public law obligations, activities performed by taxpayers are extremely important. Correct development and implementation of a strategy of conduct – already at the initial stages of a case – often determines its final result.
Our experts support clients – also as attorneys – during all inspections and proceedings, before tax authorities, ZUS and administrative courts. Based on our experience and practice, we always develop the most effective strategy for conducting a case, and then implement it during the proceedings – by presenting appropriate arguments supported by convincing evidence, participation in evidence activities (hearing witnesses, inspections, etc.) and ongoing contact with the administration. Our support also goes beyond the activities related to the preparation of letters as part of the proceedings – we act proactively, taking actions aimed at strengthening the client’s position, as well as preventing negative movements on the part of authorities related to, for example, the enforcement of obligations.
The Tax Litigation Team at ALTO consists of tax advisers and lawyers, supported by other team members, who have many years of experience in representing entrepreneurs during various types of inspections and proceedings in the field of, among others, VAT, CIT, PIT, real estate tax or social security contributions.
The scope of our services includes customer support in such proceedings as:
- Tax inspections and proceedings as well as related proceedings before administrative courts.
- ZUS inspections and related proceedings before common courts.
- Enforcement and security proceedings related to clients’ public and legal obligations.
- Proceedings concerning fiscal penal liability.
- Proceedings related to the recovery of tax overpaid by taxpayers.
- Proceedings related to obtaining individual interpretations or protective opinions – including those related to challenging documents issued by the authorities at the court stage.
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Tax
200% write-off under R&D relief vs. an individual interpretation
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Tax
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