As part of our tax practice we provide integrated legal services to our clients in both pending fiscal controls and subsequent contentious disputes in front of both tax authorities and courts of justice. Furthermore, we offer palliative consultancy services aimed to ensure compliance of our client’s transactions with the fiscal provisions in force.
We are mainly involved in contentious administrative cases in the field of VAT, profit and income tax, excises, custom taxes and AD duties from where we have drawn direct and relevant expertise to blueprint out effective proposals in consequent deals of our clients.
Finally, we have also successfully assisted our clients in claims pertaining to reimbursement and/or compensation by the tax authorities of undue contributions as well as payment of damages for late repayment to the client of such contributions.
Provided legal counsel to large a Romanian company in the construction field in a dispute opposing tax authorities which successfully concluded with the cancellation of a EUR 1.7 million tax decision levied as profit tax.
Legal assistance and representation provided to the chemical division of a large wood based products manufacturer before both tax authorities and courts of justice, which successfully concluded with the cassation of over EUR 3 million tax decision referring to VAT refunds.
Legal counsel provided to the largest German string manufacturers in a tax dispute referring to anti-dumping duties for cross border transactions, amounting to EUR 1.5 million.
Legal assistance and representation provided to a world leading manufacturer of wood-based panels in a fiscal litigation pertaining to the cancelation of a EUR 2.5 million tax decision issued in respect of environment contributions.
Legal assistance and representation provided to a large trading company for the recovery from the tax authorities of undue contributions and material damages, followed by the effective enforcement of such court decision for aprox EUR half million.
Legal assistance and representation provided to one of the largest German string manufacturers in a tax litigation pertaining to the procedure for declaring cross-border transactions amounting to approx. EUR 2 million.