The economic climate and the growing international cooperation in the fight against tax evasion have had a significant impact on tax inspections, which have increased in number and have become increasingly targeted. More frequently, they also cover issues of international taxation. Transfer pricing adjustments and disputes regarding cross-border operations are becoming increasingly common.
In order to deal effectively with the questions raised by the financial authorities, our firm relies on a team of advisers with a high level of technical expertise in national and international taxation, combined with the necessary sensitivity in handling relations with the public administration.
The professionals provide support to leading national and international operators, in all their dealings with the financial authorities. They assist clients during inspections and investigations; they also assist them in preparing appeals (including international rulings), in amicable settlement/mutual agreement procedures and in arbitration. The firm also has consolidated, recognised experience in assisting and representing clients in jurisdictional proceedings that may involve tax issues and the related criminal charges, in particular before the tax commissions/Courts, the Supreme Court of Cassation, the Constitutional Court, and the European Court of Justice.
The firm has significant experience in advance pricing agreements (APA) and mutual agreement procedures (MAP) for international clients.
The firm assists the Clients in tax agreement within the insolvency procedures.