A tax obligation relation between the state and natural persons-legal entities is formed following commercial activities of natural persons or legal entities. Article 73 of the Constitution summarizes this relation as follows: "Everyone is obliged to pay tax to the extent they are capable to meet public expenditures." Taxation Law regulates the mutual rights and obligations arising from the tax relation between the state and natural persons-legal entities within the frame of legal boundaries.
Our law offices provides its clients with the services of consultancy and litigation within the scope of the taxation law in relation to:
Settlement of conflicts of natural persons or legal entities regarding taxation,
Evaluation of tax risks arising from commercial transactions,
Follow-up of legal proceedings regarding the cancellation of ex officio accruals and irregular penalties imposed by tax offices, customs and revenue authorities,
Follow-up of legal remedies in lawsuits at Tax Courts, Regional Administrative Courts and the Council of State,
Evaluation of alternative situations such as mergers and takeovers, full or partial demergers, type changes, asset transfers by evaulating taxative risks and/or consequencies of commercial activities in line with the legal and financial structures of companies,
Determination of situations such as technical bankruptcy and/or indebtedness of natural persons or legal entities and taxative legal proceedings to be imposed in case of elimination of financial situations posing a risk within the scope of the Turkish Commercial Law no. 6102,
Settlement and conclusion of taxative conflicts in the matters of accrued taxs, tax loss, naked payment orders and irregularity fines,
Commencement and follow-up of tax restructuring processes,
Evaluation of reports drawn up at inspection stages, pursuing all legal remedies at the Report Evaluation Commission against the counter-report acquired as a result thereof,
Resturcting of taxative activities of companies,
Seeking remedies to object to additional accruals and fines imposed on companies as a result of importation-exportation operation at customs and evaluating such remedies within this scope,
Evaluation of taxative risks of companies prior to mergers, takeovers and demergers, restructuring in terms of taxs and tax planning,
And all kinds of taxative conflicts such as false declaration or underdeclation of income tax, income tax withholding, corporate tax, value added tax, estate tax, special transaction tax, resource utilization support fund, motor vehicles tax, stamp tax, and ex officio, complementary tax assessment or imposition by the administration, false discounts, transfer transactions pricing between relevant or affiliated companies, damping taxes, thin capitalization evaluations due to borrowing from shareholders or indirect capital increase, declaration of limited taxpayer incomes
all of which result from employer-employee relation, are provided for clients.
Communication Form for Lawyers Specializing in Administrative Law in Kayseri
You can fill the form to receive information about the Taxation Law and receive consultancy from lawyers specializing in taxation law in Kayseri.