Our office provides services to its clients in the solution of legal problems arising from pre-trial settlement of disputes arising from basic taxes, tax and financial law (tax reconciliation, correction requests, etc.), tax crimes and penalties (tax penalties cancellation, tax loss and smuggling crimes, inspection reports and commission decisions) and the area of customs legislation.
Our office briefly provides the following services in the field of tax law:
•Getting results for the resolution of big and small tax disputes of real and legal persons,
•Filing a lawsuit for the cancellation of ex officio accrual and irregularity penalties imposed by the revenue administrations, tax offices and customs administrations and following up the litigation process,
•Providing technical and legal support and finding solutions in cases involving Tax Courts, Regional Administrative Courts and Council of State,
•Applying for reconciliation with the administration in order to resolve tax disputes such as accrued taxes, groundless payment orders, tax loss and irregularity penalties,
•Application and follow-up for tax structuring processes before the Tax Offices,
•Providing technical and legal support during the taxation process regarding tax disputes,
•Providing guidance and representation regarding ex officio accrual and irregularity penalties imposed by the revenue administrations, tax offices and customs administrations, and ensuring the settlement of tax law penalties by consensus,
•Restructuring companies in terms of tax, providing tax consultancy on reconciliation,
•Obtaining rulings and opinions from administrative authorities,
•Providing consultancy on international and domestic tax planning issues and tax law practices: Support for internal audit and review stages, compliance with the legislation and ensuring cash pricing agreements,
•Providing transfer pricing, customs settlement and inspection services,
•Tax review, transfer pricing consultancy,
•Preparation of technical documents and lists in tax inspections, evaluation of tax inspection reports,
•Tax risk assessment prior to merger, acquisition and demerger transactions, taking into account national and international regulations and tax agreements, services such as tax restructuring and tax planning of companies during merger-acquisition and demerger transactions.
•Having tax law departments; Inaccurate or incomplete income statements under corporate tax, income tax, value added tax, income tax withholding, resource utilization support fund, property tax, special transaction tax, stamp tax, motor vehicle tax and similar direct and indirect taxes; Assignment transactions made ex officio, replenished or by the administration, erroneous discounts, transfer pricing transactions between related or affiliated companies, disguised capital assessments due to borrowing to shareholders or indirect shareholder investment, dumping taxes, declaration of income of limited taxpayers and any similar tax dispute.
LAWYERS
AV. AHMET KÜRŞAT SAĞBAŞ
AV. CENGİZ KÖMÜRCÜ
AV. KADİR ÇEKİN