
Tax Law
Financial regulations regarding the debt-receivable relationship arising from the law between the state and the real or legal person taxpayer have an important place in our legislation.We provide offer legal advice and legal services related to the nature of the tax paper, the birth and termination of tax liability, the results of the non-compliance with the tax homework and the material and form rules for the resolution of disputes in this field.
In the Tax Procedure Law, besides the principles related to the relationship of tax homework, there are also tax misdemeanors and tax criminal law rules. In the Turkish Tax Law System, the acts that lead to the loss of the Treasury are defined as ve tax misdemeanors Türk and an administrative fine is imposed. Tax loss and irregularities are the most common examples of these misdemeanors.In addition to the Tax Procedure Law, some laws such as Value Added Tax Law and Special Consumption Tax Law also include tax fraud.
Violations of the tax laws and the public order, which severely shake the tax registration system, the acts of distortion in our country as a tax crime is defined as binding to the freedom of criminal sanction. The most common way of handling the crime of tax evasion is to prepare or use a false, misleading document. The prohibition of disguised profit distribution through transfer pricing included in the Corporate Tax Law is one of the most common tax law disputes encountered in commercial relations and international trade with group companies.
It can be preferred as an important legal way to eliminate both the tax that can be incurred and the penalties by opening a case in the tax courts in the administrative judiciary. On the other hand, in tax criminal cases in the criminal courts, the fact that the actual nature of the incident, the criminal law is investigated in the framework of the principles of the Tax Procedural Law and the fact that the criminal law, It is very important to protect investors and improve the investment environment.
HTaxation (excluding the accruals given on the declarations made without the registration of taxpayers) in various stages of the taxation process shall be subject to the application of taxpayers, interest or raise; they have the right to seek reconciliation but not to reach a consensus, to reject the request for rectification by the tax office and to apply to the judicial bodies if they experience other tax disputes.
Tax offenses are divided into ik administrative tax crimes suç and “judicial tax crimes”.
The acts that require tax penalties imposed by the Administration without the need for a judicial decision are administrative misdemeanors and the penalties imposed are administrative sanctions.The lawsuits for the cancellation of these penalties should be opened in the tax courts of the administrative jurisdiction.This type of administrative tax offense is more of a misdemeanor fault. Loss of misconduct is a violation of tax laws that may cause tax loss.Hazard delinquency aims to prevent the loss of the treasure in the future.
For judicial tax offenses, the definition of the offense and the amount of punishment to be imposed are included in the tax procedure law, however, the imposition of penalties and penalties are criminal offenses in the judicial court.These offenses are not different from crimes that fall within the scope of other criminal law in terms of legal issues, social order disruptive purposes and judicial procedure. Google Adobe W3