Areas of practice

TAX INSPECTION AND DISPUTES WITH TAX AUTHORITIES

Intensive tax inspections are a reality. Unclear regulations, variable jurisprudence and interpretations of the law, as well as advanced settlement verification tools supporting the selection of taxpayers for inspection (JPK) make it easy to achieve a negative result. The Law Firm prepares Clients for possible inspection (risk identification, procedures, training), and represents and advises Clients in its course.

 

Typical areas of inspections are: trade in „sensitive” goods (e.g. fuels, metals, electronics, building materials, scrap, etc.), intangible services (e.g. know-how, consulting, brokering, etc.), intangible assets licenses (e.g. trademarks, patents, industrial designs), employment of staff (including international staff) and performance of paying duties, international taxation (withholding tax, permanent establishment, etc.), multilateral transactions, transfer pricing, tax optimization.

Contact

Jarosław Ostrowski

tax adviser
attorney-at-law

email: j.ostrowski@ostrowski-legal.net

mobile: +48 606 612 296

Let's talk

The team dealing with the specialization:

Jarosław Ostrowski

tax adviser
attorney-at-law

Anna Monika Kowalska

tax adviser

Natalia Żuchowska

tax adviser

We offer:

  • Audit to identify risks Audit before an inspection is a very good tool to identify and reduce potential risks. It allows the correction of possible deficiencies and the preparation of a line of defence with regard to doubtful issues.
  • Procedures in case of unannounced inspection Cooperation with inspectors should proceed smoothly and in an orderly manner. Implementation of the procedure, from the appearance of the inspection until its completion, improves the flow of information, helps to avoid ill-considered actions, and facilitates possible defence during the dispute.
  • Advice and representation of the Client in the course of the audit and tax dispute We constantly assess the directions of the audit and the Client’s possibilities in the preparation of the defence strategy. We help to verify evidence, participate in the hearing of witnesses, prepare letters (explanations, reservations, motions for evidence). After the decision is issued, we take an active part in tax and administrative court proceedings (WSA, NSA).
  • Representation of the Client in the course of penal fiscal proceedings Penal and fiscal access is an unavoidable consequence of violations identified by tax decisions. The allegations of tax exposure to depletion, unreliable bookkeeping, failure to collect tax are typical risks faced by managers. In such a situation, we determine the defence strategy, advise at the stage of preparatory proceedings and defend in a potential trial.

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