Tax litigation / Dispute proceedings
KIDZA represents and advises you in all tax-driven conflicts with the tax authorities. It is our task to master the risks arising in this area in a legally secure and confident manner.
KIDZA advises both in out-of-court tax dispute proceedings vis-à-vis the respective tax authorities (such as the tax offices or main customs offices) and before the tax courts, up to and including the Federal Fiscal Court and the ECJ. In particular in:
• Appeal proceedings (in particular objection proceedings) against tax claims of tax authorities
• Collection and enforcement proceedings
• Proceedings for interim relief (applications for suspension or revocation of enforcement, interim injunction)
• Obtaining binding information on taxation issues and binding customs tariff information
• External audits (in particular tax audit proceedings)
• Liability proceedings
• Defence and assertion in cases of advisor liability
• Remission proceedings and conclusion of factual agreements
• Legal proceedings before the fiscal courts (actions for avoidance, obligation, leapfrogging and failure to act) and proceedings for provisional legal protection (suspension of execution; temporary injunction proceedings)
• Proceedings before the Federal Supreme Finance Court (appeal proceedings – non-admission of an appeal, appeals)
• Proceedings before the European Court of Justice (ECJ)
In matters with a connection to criminal law or misdemeanour law, the firm ideally handles the tax proceedings and the criminal tax proceedings in parallel to ensure that our clientele is fully shielded on a personal and economic level.